district of columbia water and sewer authority · have a high degree of subjectivity allowance for...
TRANSCRIPT
* The DC Water Board of Directors may go into executive session at this meeting pursuant to the District of Columbia Open Meetings Act of 2010, if such action is approved by a majority vote of the Board members who constitute a quorum to discuss: matters prohibited from public disclosure pursuant to a court order or law under D.C. Official Code § 2-575(b)(1); contract negotiations under D.C. Official Code § 2-575(b)(1); legal, confidential or privileged matters under D.C. Official Code § 2-575(b)(4); collective bargaining negotiations under D.C. Official Code § 2-575(b)(5); facility security under D.C. Official Code § 2-575(b)(8); disciplinary matters under D.C. Official Code § 2-575(b)(9); personnel matters under D.C. Official Code § 2-575(b)(10);proprietary matters under D.C. Official Code § 2-575(b)(11); decision in an adjudication action under D.C. Official Code § 2-575(b)(13); civil or criminal matters where disclosure to the public may harm the investigation under D.C. Official Code § 2-575(b)(14), and other matters provided in the Act.
Board of Directors
Audit Committee
Thursday, January 28, 2016
9:30 a.m.
1. Call to Order……………………………………………………..Nicholas A. Majett, Chairperson
2. External Audit Exit Conference……………………………………………..………..……KPMG
3. Internal Audit Update………..………….……................. Dan Whelan, RSM, Auditor GeneralA. FY 2016 Internal Audit Plan Status UpdateB. Status Update on Audit FindingsC. Retail Rates Implementation Progress ReportD. Overtime Audit and AnalysisE. Hotline Update
4. Executive Session* ……………………………….………….. Nicholas A. Majett, Chairperson
5. Adjournment……………………………………………………. Nicholas A. Majett, Chairperson
DISTRICT OF COLUMBIAWATER AND SEWER AUTHORITY
Audit Committee - 1. Call to Order - Nicholas A. Majett, Chairperson
1
DC Water FY 2015 Financial Statement and OMB Circular A-133 Audits
Exit Conference
January 28, 2016
Audit Committee - 2. External Audit Exit Conference - KPMG
2
© 2016 KPMG LLP, a Delaware limited liability partnership and the U.S. member firm of the KPMG network of independent member firms affiliated with KPMG International Cooperative (“KPMG International”), a Swiss entity. All rights reserved.
1
Agenda
v Responsibilities
v Significant findings or issues from the audit
n Financial Statement Audit results
n Accounting policies, practices, and estimates
n Summary of corrected and uncorrected misstatements
n Significant deficiencies and material weaknesses in internal control
n Other matters
v Material written communications between KPMG and management
v Independence
v Single Audit Results
v KPMG Ethics and Compliance Hotline, and Government Institute Information
Audit Committee - 2. External Audit Exit Conference - KPMG
3
Responsibilities
Audit Committee - 2. External Audit Exit Conference - KPMG
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3
Responsibilities
Management is responsible for:
n Adopting sound accounting policies
n Fairly presenting the financial statements, including disclosures, in conformity with generally accepted accounting principles (GAAP)
n Establishing and maintaining effective internal control over financial reporting (ICFR), including internal controls to prevent, deter, and detect fraud
n Identifying and ensuring that the Authority complies with laws and regulations applicable to its activities, and for informing the auditor of any known material violations of such laws and regulations
n Making all financial records and related information available to the auditor
n Providing unrestricted access to personnel within the entity from whom the auditor determines it necessary to obtainaudit evidence
Audit Committee - 2. External Audit Exit Conference - KPMG
5
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4
Responsibilities (continued)
Management is also responsible for:
n Providing the auditor with a letter confirming certain representations made during the audit that includes, but is not limitedto, management’s:
– Disclosure of all significant deficiencies, including material weaknesses, in the design or operation of internal controls that could adversely affect the Authority’s financial reporting
– Acknowledgement of their responsibility for the design and implementation of programs and controls to prevent, deter, and detect fraud; and
– Affirmation that the effects of any uncorrected misstatements aggregated by the auditor are immaterial, both individually and in the aggregate, to the financial statements taken as a whole
Audit Committee - 2. External Audit Exit Conference - KPMG
6
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5
Responsibilities (continued)
The Audit Committee is responsible for:
n Oversight of the financial reporting process and oversight of ICFR
n Oversight of the establishment and maintenance of programs and internal controls designed to prevent and detect fraud
Management and the Audit Committee are responsible for:
n Setting the proper tone and creating and maintaining a culture of honesty and high ethical standards
The audit of the financial statements does not relieve management or the Audit Committee of their responsibilities.
Audit Committee - 2. External Audit Exit Conference - KPMG
7
© 2016 KPMG LLP, a Delaware limited liability partnership and the U.S. member firm of the KPMG network of independent member firms affiliated with KPMG International Cooperative (“KPMG International”), a Swiss entity. All rights reserved.
6
Responsibilities (continued)
KPMG is responsible for:
n Forming and expressing an opinion about whether the financial statements that have been prepared by management with the oversight of the Audit Committee are presented fairly, in all material respects, in conformity with GAAP
n Planning and performing the audit with an attitude of professional skepticism
n Conducting the audit in accordance with professional standards and complying with the Code of Professional Conduct of the American Institute of Certified Public Accountants, and the ethical standards of relevant CPA societies and relevant state boards of accountancy
n Evaluating ICFR as a basis for designing audit procedures, but not for the purpose of expressing an opinion on the effectiveness of the entity’s ICFR
n Communicating to management and the Audit Committee all required information, including significant matters
n Communicating to management and the Audit Committee in writing all significant deficiencies and material weaknesses in internal control identified in the audit and reporting to management all deficiencies noted during our audit that are of sufficient importance to merit management’s attention
Audit Committee - 2. External Audit Exit Conference - KPMG
8
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7
Responsibilities for other information in documents containing audited financial statements
n The auditors’ report on the financial statements does not extend to other information in documents containing audited financial statements, excluding required supplementary information.
n We are required to:
– Read the other information to identify material inconsistencies with the audited financial statements or material misstatements of fact, and
– Make appropriate arrangements with management or the Audit Committee to obtain the other information prior to the report release date.
n We have performed the above with respect to required supplementary information (Management’s Discussion and Analysis) and other information in the CAFR (Letter of Transmittal and Statistical Section) noting no exceptions.
Audit Committee - 2. External Audit Exit Conference - KPMG
9
Significant findings or issues from the audit
Audit Committee - 2. External Audit Exit Conference - KPMG
10
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9
Financial Statement Audit Results
n Opinion on the Basic Financial Statements
– Unmodified or “clean” opinion
n Report on Internal Control over Financial Reporting
– No Material Weaknesses identified
– Significant Deficiencies identified
æReport on Compliance with Laws, Regulations, Contracts and Grants
– No instances of non-compliance noted
° Management Letter
– Control Deficiencies noted
Audit Committee - 2. External Audit Exit Conference - KPMG
11
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10
Accounting policies, practices, and estimates
Significant Accounting Policies
n Described in Note 2 of the basic financial statements
n No significant changes to accounting policies in FY 2015 as a result of implementation of new GASB standards
Accounting estimateManagement process used to develop accounting estimates
Significant assumptions used that have a high degree of subjectivity
Allowance for Doubtful Accounts A/R aging analysis by significant customer category
None
IMA Operating Cost Accruals Analysis of costs coded to certain Blue Plains-related Accounting Units in Lawson during the fiscal year
None
Capital Accounts Payable Accruals Historical analysis of invoices for major vendors
None
Significant Estimates
Audit Committee - 2. External Audit Exit Conference - KPMG
12
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11
Accounting policies, practices, and estimates (continued)
Concerns regarding application of new accounting pronouncements
n None noted as no new accounting pronouncements had a material effect on the financial statements in FY15.
Alternative accounting treatments
n None noted.
Recently issued standards
Audit Committee - 2. External Audit Exit Conference - KPMG
13
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12
Summary of uncorrected misstatements – Fiscal 2015
$(Million)
Description of misstatement Debit Credit
Difference between AP accrual estimate and actual invoices received per look-back analysis (factual)
Construction in Progress (DR)
Accounts Payable (CR)$13.2 $13.2
Invoice not billed in accordance with Authority’s estimation methodology (projected)
Accounts Receivable (DR)
Commercial Revenue (CR)
$6.5 $6.5
Note: The impact on the financial statement line items are reflected on the next slide.
Audit Committee - 2. External Audit Exit Conference - KPMG
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13
Impact of uncorrected misstatements – Fiscal 2015
$(Million)
Description of MisstatementIncrease in Net
PositionNet Position
Total Assets and Deferred Outflows
Total Liabilities
Difference between AP accrual estimate and actual invoices received per look-back analysis (factual)
$ - $ - $13.2 $13.2
Invoice not billed in accordance with Authority’s estimation methodology (projected)
$6.5 $6.5 $6.5 $ -
Total Impact of Uncorrected Adjustment
$6.5 $6.5 $19.7 $13.2
Financial Statement Line Item Balance
$179.1 $1,530.0 $6,128.7 $4,598.8
Percentage 3.6% 0.42% 0.32% 0.29%
Audit Committee - 2. External Audit Exit Conference - KPMG
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14
Significant deficiencies and material weaknesses in internal control
Material Weaknesses
None noted
Significant deficiencies
All other deficiencies in ICFR noted during our audit that are of sufficient importance to merit management's attention have been communicated to management.
Description Identified by Status
Improve General Information Technology access controls related to the following:• Periodic management review of Lawson user access• Validation and monitoring of privileged access to Lawson
KPMG Significant deficiency communicated in previous audit(s) that has not yet been remediated.
Audit Committee - 2. External Audit Exit Conference - KPMG
16
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15
Other matters
Related-party transactions No significant matters regarding transactions with related parties were noted
Litigations, claims, and assessments No significant matters noted
Illegal acts or fraud None noted
Noncompliance with laws and regulations
None noted
Significant difficulties encountered during the audit
None
Disagreements with management None
Significant issues discussed, or subject to correspondence, with management
None noted
Scope limitation None
Other findings or issues relevant regarding oversight of the financial reporting process
No matters to report
Audit Committee - 2. External Audit Exit Conference - KPMG
17
Material written communications between KPMG and management
Audit Committee - 2. External Audit Exit Conference - KPMG
18
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17
Material written communications between KPMG and management
n Engagement letter
n Management representation letter(s) including summary of uncorrected misstatements
Audit Committee - 2. External Audit Exit Conference - KPMG
19
Independence
Audit Committee - 2. External Audit Exit Conference - KPMG
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19
Independence
Nonaudit services provided during the period:
n Green bond attestation
n IT systems assessment
In our professional judgment, we are independent with respect to the Authority, as that term is defined by the professional standards.
Audit Committee - 2. External Audit Exit Conference - KPMG
21
Single Audit Results
Audit Committee - 2. External Audit Exit Conference - KPMG
22
© 2016 KPMG LLP, a Delaware limited liability partnership and the U.S. member firm of the KPMG network of independent member firms affiliated with KPMG International Cooperative (“KPMG International”), a Swiss entity. All rights reserved.
21
Single Audit Results
n Major programs tested:
– CFDA# 66.458, Clean Water Act Program
– CFDA# 66.468, Safe Drinking Water Act Program
n Opinion on Compliance For Major Programs
– Unmodified or “Clean” Opinion
– No Questioned Costs Identified
n Internal Control over Major Programs
– No Material Weaknesses Identified
– No Significant Deficiencies Identified
Audit Committee - 2. External Audit Exit Conference - KPMG
23
KPMG Ethics and Compliance Hotline, and Government Institute Information
Audit Committee - 2. External Audit Exit Conference - KPMG
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23
KPMG Ethics and Compliance Hotline
n Scope – To provide a confidential, non-retaliatory, and anonymous hotline to the following individuals/organizations for the good faith reporting of concerns about possible violations of law, professional and ethical standards, and KPMG policy.
n Contact information
– Phone: 1-877-576-4033
– Website: www.kpmgethics.com
KPMG Government Institute*
n Scope – To serve as a strategic resource for government at all levels, and also for higher education and non-profit entities seeking to achieve high standards of accountability, transparency, and performance. The institute is a forum for ideas, a place to share leading practices, and a source of thought leadership to help governments address difficult challenges such as effective performance management, regulatory compliance, and fully leveraging technology.
n Contact information
– Jeff Steinhoff, Executive Director ([email protected])
– Website: www.kpmginstitutes.com/government-institute/
KPMG Ethics and Compliance Hotline, and Government Institute Information
*The KPMG Government Institute is a member of the KPMG Institute Network (www.kpmginstitutes.com).
Audit Committee - 2. External Audit Exit Conference - KPMG
25
© 2016 KPMG LLP, a Delaware limited liability partnership and the U.S. member firm of the KPMG network of independent member firms affiliated with KPMG International Cooperative (“KPMG International”), a Swiss entity. All rights reserved.
The KPMG name and logo are registered trademarks or trademarks of KPMG International.
Audit Committee - 2. External Audit Exit Conference - KPMG
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©2015 RSM US LLP. All Rights Reserved. ©2015 RSM US LLP. All Rights Reserved.
DC WATER
Audit Committee Meeting
January 28, 2016
Audit Committee - 3. Internal Audit Update - Dan Whelan, RSM, Auditor General
27
©2015 RSM US LLP. All Rights Reserved.
Agenda
• FY 2016 Internal Audit Plan Status Update
• Update on Audit Findings
• Retail Rates Implementation Review Progress Report
• Overtime Audit and Analysis Report
• Hotline Update
• Executive Session
2
Audit Committee - 3. Internal Audit Update - Dan Whelan, RSM, Auditor General
28
©2015 RSM US LLP. All Rights Reserved.
FY 2016 Internal Audit Plan Status Update
Audit Status
FY 2015
IT Vendor Risk Management* Report Complete
FY 2016
Retail Rates Implementation (Post) Progress Report Complete
Overtime Audit and Analysis Report Complete
ROCIP Fieldwork In-Process
Training, Licensing and Certification Planning In-Process
Business Development Plan – Rapid Assessment Planning In-Process
Contract Monitoring & Compliance Reviews Planning In-Process
Remediation Follow Up Procedures On-going
Hotline Management On-going
3
* Report issued during Executive Session.
Audit Committee - 3. Internal Audit Update - Dan Whelan, RSM, Auditor General
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©2015 RSM US LLP. All Rights Reserved.
Update on Audit Findings Prior to FY 2015
4
Audit Report/SubjectReport
Issue Date
Corrective Actions
Total Open ClosedPending Testing
Action Deferred*
Organizational Policies & Procedures 02/23/2010 1 0 0 0 1Safety Program Training & Compliance 10/07/2010 1 0 0 0 1Pumping & Storage - Water Leakage 03/01/2011 1 0 1 0 0Human Capital Management 11/29/2011 1 0 0 0 1Maintenance Services 04/18/2012 2 2 0 0 0IT Helpdesk & Computer Operations 10/05/2012 1 0 0 1 0Fleet Management 04/17/2013 2 2 0 0 0Process Control System (PCS) 09/04/2013 7 0 3 4 0Sewer - Emergency Maintenance 06/18/2013 2 0 1 1 0Water Services - Distribution Maintenance Branch 10/28/2013 4 2 2 0 0Legal Operations 02/11/2014 1 0 1 0 0OSHA 02/18/2014 1 1 0 0 0Disposal of Assets 02/18/2014 2 2 0 0 0Emergency Management - Recovery 05/12/2014 2 1 1 0 0DSS - Construction & Repair 05/12/2014 6 0 3 3 0Emergency Management - Mitigation 06/27/2014 1 1 0 0 0IT Asset Management 09/10/2014 2 2 0 0 0Warehouse Operations 09/15/2014 4 1 2 0 1GIS Mapping 06/23/2014 3 2 1 0 0
Total 44 16 15 9 4
*Of the 4 action deferred items, 3 items are policy and procedure related and 1 is a business process improvement.
Audit Committee - 3. Internal Audit Update - Dan Whelan, RSM, Auditor General
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©2015 RSM US LLP. All Rights Reserved.
Update on Audit Findings Prior to FY 2015, cont.
5
DETS Blue Plains
Customer Care &
Operations
Office of the General Counsel
IT Support Services
Finance Office of the General Manager
Closed Since Last AC Meeting 1 3 8 1 0 2 0 0
Open Management Action Plans 2 2 4 0 2 6 0 0
Pending Testing 0 4 4 0 1 0 0 0
Action Deferred 0 0 0 0 0 1 0 3
44 Total 3 9 16 1 3 9 0 3
Category # of corrective actions
Policy and Procedure:
Policy or Procedure does not exist 4
Policy or Procedure needs to be updated 3
Policy requires union approval 4
Total 11
Employee Development / Training 4
Asset Management 9
Catch Basin Pilot Program 1
Vacant Position Dependency 2
Contractor / Vendor Dependency 6
Due Date # of correctiveactions
Past Due 0
FY 2016 Quarter 2 6
FY 2016 Quarter 3 4
FY 2016 Quarter 4 3
FY 2017 Quarter 2 1
FY 2017 Quarter 3 1
FY 2017 Quarter 4 1
Corrective Action Themes
Status by Business Area
Corrective Action by Due Date
Audit Committee - 3. Internal Audit Update - Dan Whelan, RSM, Auditor General
31
©2015 RSM US LLP. All Rights Reserved.
Update on Audit Findings Prior to FY 2015, cont.
6
Audit Committee Meeting
3/26/2015 4/23/2015 6/23/2015 10/22/2015 1/28/2016
Open 44 34 37 29 15
Closed 19 12 3 4 15
Pending Testing 14 12 6 10 9
Action Deferred 5 5 5 5 4
Open22%
Closed62%
Pending Testing11%
Action Deferred5%
Current Status of Audit Findings Prior to FY 2015
Audit Committee - 3. Internal Audit Update - Dan Whelan, RSM, Auditor General
32
©2015 RSM US LLP. All Rights Reserved.
Update on FY 2015 Audit Findings
7
Audit Report / SubjectReport
Issue Date
Corrective Actions
Total Open ClosedPending Testing
Intellectual Property Program Assessment 01/08/2015 5 5 0 0Timekeeping Audit 04/08/2015 4 2 2 0Procurement – Pre-Award, Selection, and Award 05/18/2015 2 2 0 0
Total 11 9 2 0
Support Services
Finance Office of the General Manager
Closed Since Last AC Meeting 0 1 0
Open Management Action Plans 2 2 5
Pending Testing 0 1 0
11 Total 2 4 5
Status by Business Area
Due Date # of correctiveactions
Past Due 0
FY 2016 Quarter 2 6
FY 2016 Quarter 3 2
FY 2016 Quarter 4 1
Corrective Action by Due Date
Audit Committee - 3. Internal Audit Update - Dan Whelan, RSM, Auditor General
33
©2015 RSM US LLP. All Rights Reserved.
Update on FY 2015 Audit Findings, cont.
8
Audit Report / SubjectRisk Rating of Open Items
# CAP Extensions*Total High Moderate LowIntellectual Property Program Assessment 5 2 2 1 5Timekeeping Audit 2 1 0 1 2Procurement – Pre-Award, Selection, and Award 2 1 0 1 2
Total 9 4 2 3 9
Follow-up on IT-Related Items**
Audit Report / Subject Total
IT Policy and Procedure 10
Network Security Assessment 26
SCADA / PCS Security Review 21
Total 57
*CAP Extensions are the number of corrective action plans that did not meet the original estimated completion date and was granted an extension. All extension were less than 6 months.
0
1
2
3
4
5
High Moderate Low
Corrective Actions by Risk Rating
Total Open Total Closed / Pending Testing
** IT Reports are confidential and issued during executive session.
Audit Committee - 3. Internal Audit Update - Dan Whelan, RSM, Auditor General
34
©2015 RSM US LLP. All Rights Reserved.
Retail Rates Implementation Review -Post-Implementation Progress Update
9
The purpose of the Retail Rates Implementation review was to obtain an understanding of the implemented FY16 retail ratesand related rate structure changes and assist management with the facilitation of the Retail Rates Implementation (“RRI”) planexecution for completeness and accuracy. The post-implementation audit scope is based on the following objectives:
• To assess the data clean-up process, including proper classification of property type (identification of premise changes)• Invoice testing to recalculate and verify that bills sent to customers are accurate;• Review of billing adjustments made during October – December 2015.
We performed detailed testing and validation of data clean-up efforts, including premise validation and changes; as well as performed customer site visits and independent premise validation on a sample basis, and traced changes to eCIS.
Additionally, we re-calculated a sample of customer invoices to validate that the correct billing rates were utilized post-implementation, which occurred October 1, 2015. No exceptions were noted during Internal Audit’s testing of 200 invoicesbetween 10/01/2015 and 11/12/2015.
Audit Committee - 3. Internal Audit Update - Dan Whelan, RSM, Auditor General
35
©2015 RSM US LLP. All Rights Reserved.
Retail Rates Implementation Review -Post-Implementation Progress Update, cont.
10
The Customer Service team will continue to ensure that system updates are operating effectively and the customer data isaccurate. Other tasks that the customer service team has completed or are in-process include:• Continuing data clean-up efforts and validation;• Formalizing a process for meter downsizing, which requires approval from the permitting department;• Analysis of Account Receivable collection and aging as a results of the rate changes; and• Updating of SOPs, as needed.
Additionally, Customer Service has issued a Request for Proposal (RFP) for a CIS solution and implementation services. The RFP was issued on November 3, 2015 and responses were due by January 13, 2016. It is estimated that a firm will be selected and contract finalized by May 2016 and the project will begin in August 2016.
A Customer Billing & Collection Internal Audit is scheduled for FY 2016.
Audit Committee - 3. Internal Audit Update - Dan Whelan, RSM, Auditor General
36
©2015 RSM US LLP. All Rights Reserved.
Overtime Audit and Analysis Report
11
The scope of the Overtime Audit and Analysis included:
∑ Evaluate department-level overtime management and justification
∑ Evaluate consistency in overtime procedures across the Authority
∑ Evaluate compliance with Union agreements∑ Assess overtime usage by comparing budgeted
overtime hours and expenses to actual∑ Analyze DC Water’s Overtime Costs compare to
other local utilities
$0.00
$1.00
$2.00
$3.00
$4.00
$5.00
$6.00
$7.00
$8.00
FY 2012 FY 2013 FY 2014 FY 2015
MIL
LIO
NS
Authority-wide Overtime Expenditures FY 2012 – FY 2015
Source: FY 13-16 Revised Approved Budget Report
0
20,000
40,000
60,000
80,000
100,000
120,000
140,000
160,000
FY2012 FY2013 FY2014 FY2015
TO
TA
L O
T H
OU
RS
Authority-wide Overtime Hours FY 2012 – FY 2015
Audit Committee - 3. Internal Audit Update - Dan Whelan, RSM, Auditor General
37
©2015 RSM US LLP. All Rights Reserved.
Overtime Audit and Analysis Report, cont.
12
Department Leading Overtime DriversSewer Services • Sewer blockages/ leaks
• Aging infrastructure• Weather• New construction (strain on sewer system)
Department of Engineering and Technical Services (DETS)
• Contractor working hours• Weather• DOT permitted work hours (based on location, water shut-offs, traffic, etc)
Water Services • Mains/valves leaks/breaks• Weather• Permitted work hours (based on location, water shut-offs, traffic)• Aging infrastructure• Contractor working hours
Wastewater Treatment • Built-in shift overtime• Short staffed• Weather (heavy rain) • Employee PTO days requiring other employees to work
Maintenance Services • Increase in training hours• Emergency services requested
In FY 2015, 80% of the Authority’s overtime expenditures came from five departments; Sewer Services, Department of Engineering and Technical Services, Water Services, Wastewater Treatment and Maintenance Services. Each of these five departments have different drivers for greater overtime expenditures, as detailed in the chart below.
Water Services
22%
DETS17%
Wastewater Treatment -Operations
16%
Maintenance Services
13%
Sewer Services
12%
DDCS11%
Customer Service
4%
Facilities 3%
Other 2%
FY 2015 Overtime Expenditures by Department
Source: FY 16 Revised Approved Budget Report
Audit Committee - 3. Internal Audit Update - Dan Whelan, RSM, Auditor General
38
©2015 RSM US LLP. All Rights Reserved.
Overtime Audit and Analysis Report, cont.
13
Overtime expenditures in most departments have been increasing year by year. This is a result of aging infrastructure, increasing severe weather events, vacancies, increasing costs, and additional factors (reference “Leading Overtime Drivers” table on page 11). In FY 2015, overtime expenditures of $7,467,306 accounted for 6.5% of personnel costs, down from 6.9% in FY 2014. This amount is 1.4% of the Authority’s total operating revenue.
Fiscal Year
FY 2012 FY 2013 FY 2014 FY 2015
Overtime Expenditures $4,954,000 $6,106,000 $7,525,000 $7,467,306Overtime Budget $5,016,987 $5,166,209 $5,359,100 $6,067,920Personnel Services Expenditures* - Operating & Capital
$107,334,000 $118,567,000 $125,756,000 $134,263,000
Personnel Services - Capital ($9,550,000) ($14,659,000) ($17,289,000) ($18,741,000)Personnel Services Expenditures – Operating $97,784,000 $103,908,000 $108,467,000 $115,522,000Personnel Services Budget – Operating & Capital $111,114,000 $116,609,000 $119,765,000 $135,544,000Personnel Services Budget – Capital ($14,000,000) ($16,690,000) ($12,960,000) ($17,266,000)Personnel Services Budget – Operating $97,114,000 $99,919,000 $106,805,000 $118,278,00Operating Revenue $440,566,000 $439,079,000 $473,824,000 $546,096,000OT Expenditures % of Personnel Costs – Operating & Capital
5.1% 5.9% 6.9% 6.5%
OT Expenditures % of Operating Revenue 1.1% 1.4% 1.6% 1.4%
*Personnel costs includes salary and overtime, benefits, and bonuses.**These are preliminary year-end results pending the audited financial statements. Source: Consolidated annual financial reports and FY 13-16 Revised Approved Budget Reports and September 30, 2015 Finance and Budget Report.
Audit Committee - 3. Internal Audit Update - Dan Whelan, RSM, Auditor General
39
©2015 RSM US LLP. All Rights Reserved.
Overtime Audit and Analysis Report, cont.
14
Fairfax County
WSSCDCW
Baltimore
Virginia Beach
Howard County
Benchmark
$0
$1,000,000
$2,000,000
$3,000,000
$4,000,000
$5,000,000
$6,000,000
$7,000,000
$8,000,000
$9,000,000
- 500 1,000 1,500 2,000 2,500
OV
ER
TIM
E C
OS
TS
FY
201
4
NUMBER OF EMPLOYEES
Overtime versus Number of EmployeesThe following graphs compare DC Water’s overtimeexpenditures from FY 2014 to other local water and wastewater authorities.
Organizations of all types and sizes recognize the value ofcomparing themselves to other like organizations. Theprocess of benchmarking yields valuable information toleaders and decision makers. There are, however, somedangers inherent in the benchmarking, since no authorityis the perfect comparison to DC Water.
Some of the differences between the authorities include:• Union versus non-unionized staff;• Not all authorities treat wastewater, some only treat part
of their service area’s wastewater;• Different technology is being used and implemented;• Age of infrastructure;• Vacancy rates, and;• Response time to emergencies
As evidenced by the following graphs, DC Water’sovertime expenditures in FY 2014 were roughly consistentwith other local authorities, when compared with thenumber of customers, number of employees, and amountof personnel expenditures.
Source: Respective authorities’ websites and information provided by the entity.
Audit Committee - 3. Internal Audit Update - Dan Whelan, RSM, Auditor General
40
©2015 RSM US LLP. All Rights Reserved.
Overtime Audit and Analysis Report, cont.
15
Fairfax County
WSSCDCW
Baltimore
Virginia Beach
Howard County
Benchmark
$0
$1,000,000
$2,000,000
$3,000,000
$4,000,000
$5,000,000
$6,000,000
$7,000,000
$8,000,000
$9,000,000
- 100,000 200,000 300,000 400,000 500,000 600,000 700,000
OV
ER
TIM
E C
OS
T F
Y20
14
NUMBER OF CUSTOMERS
Overtime versus Number of Customers
Fairfax County
WSSCDCW
Baltimore
Howard County
Virginia Beach
Benchmark
$0
$1,000,000
$2,000,000
$3,000,000
$4,000,000
$5,000,000
$6,000,000
$7,000,000
$8,000,000
$9,000,000
$0 $50,000,000 $100,000,000 $150,000,000 $200,000,000
OV
ER
TIM
E E
XP
EN
DIT
UR
ES
FY
20
14
PERSONNEL EXPENDITURES FY2014
Overtime versus Personnel Expenditures
Source: Respective authorities’ websites and information provided by the entity.
Audit Committee - 3. Internal Audit Update - Dan Whelan, RSM, Auditor General
41
©2015 RSM US LLP. All Rights Reserved.
Overtime Audit and Analysis Report - Observations
16
Observations Risk Rating
1. Overtime Justification and Approval Process High
2. Documentation of Overtime Distribution High
3. Management Reporting, Evaluation and Enforcement of Overtime Budget
Moderate
We are satisfied with management’s responses and planned actions, and will perform follow-up on the observations in the course of routine follow-up procedures.
Audit Committee - 3. Internal Audit Update - Dan Whelan, RSM, Auditor General
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©2015 RSM US LLP. All Rights Reserved.
Hotline Update
17
Hotline Calls
Calls Received 3
Fraud Claims 1
Other 2
Cases Closed 1
Cases Currently Open 5
Last audit committee meeting we reported that 3 cases were open. Since the last audit committee meeting:
Audit Committee - 3. Internal Audit Update - Dan Whelan, RSM, Auditor General
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©2015 RSM US LLP. All Rights Reserved.
This document contains general information, may be based on authorities that are subject to change, and is not a substitute for professional advice or services. This document does not constitute audit, tax, consulting, business, financial, investment, legal or other professional advice, and you should consult a qualified professional advisor before taking any action based on the information herein. RSM US LLP, its affiliates and related entities are not responsible for any loss resulting from or relating to reliance on this document by any person. Internal Revenue Service rules require us to inform you that this communication may be deemed a solicitation to provide tax services. This communication is being sent to individuals who have subscribed to receive it or who we believe would have an interest in the topics discussed.
RSM US LLP is a limited liability partnership and the U.S. member firm of RSM International, a global network of independent audit, tax and consulting firms. The member firms of RSM International collaborate to provide services to global clients, but are separate and distinct legal entities that cannot obligate each other. Each member firm is responsible only for its own acts and omissions, and not those of any other party. Visit rsmus.com/aboutus for more information regarding RSM US LLP and RSM International.
RSM® and the RSM logo are registered trademarks of RSM International Association. The power of being understood® is a registered trademark of RSM US LLP.
© 2015 RSM US LLP. All Rights Reserved.
RSM US LLP
1501 M St. NW, Suite 340Washington, D.C. 20005 202.370.8200
+1 800 274 3978www.rsmus.com
Audit Committee - 3. Internal Audit Update - Dan Whelan, RSM, Auditor General
44
January 28, 2016
Required Internal Audit ActivityProposed Future AuditAudit In ProgressAudit IssuedFollow Up In ProgressAudit Closed
Last Audit 2013 2014 2015 Proposed2016
Preliminary2017
Risk Assessment for Audit Plan Development XUpdate Risk Assessment and Audit Plan Development X XQuality Control - Board Meetings, Status Reporting X X XHotline Management X X X
Open Action Items - Remediation and Follow-up Procedures X X XBlue Horizons - Strategic Plan Monitoring X XContract Monitoring & Compliance Reviews 2014 X X
Intellectual Property 2015 XOrganization Policies & Procedures 2010
Maintenance Services - Operations 2012Maintenance Services - Work Order Management X
Chemical Purchasing 2013 XProcess Control System (PCS) 2013 X X
Customer Billing & Collections 2011 XRetail Rates Pre- and Post-Implementation Monitoring 2015 X X
Emergency Management - Mitigation & Response 2014 XEmergency Management - Recovery 2014 X
Sewer Services - Construction & Repair 2014 XSewer Services - Emergency Maintenance 2013 X
Pumping & Storage Water Leakage Review 2011Utility Services - Water Distribution 2013 XUtility Services - Water Maintenance 2013 X
Facilities - Work Order Management X
Fleet - Operations 2013 XFleet - Intergovernmental Support (Ambulance Services) X
Employee Benefit Plans 2014 XEmployee Recruitment and On-Boarding XHuman Capital Management - Operations 2011Training, Certification and Licensing X
OSHA 2014 XSafety Programs, Training & Compliance 2010
Materials Management - Disposal of Assets 2014 XMaterials Management - Operations and Inventory 2014 X XProcurement Operations 2010
Business Development Plan - Rapid Assessment XProcurement Pre-Award Selection Process 2015 X
Purchasing Cards (P-Card Program) 2013 X X
Clean Rivers Project Management 2014 XClean Rivers - Vendor / Contractor Monitoring & Project Administration X
Engineering - Vendor / Contractor Monitoring & Project Administration 2015 XEngineering - Construction Management XEngineering - Design and Program Management & Permitting 2013 X X
Payroll - General Operations 2012Timekeeping 2015 XOvertime X
Annual Budgeting & Planning X
Cash Receipts 2013 XInvestments and Cash Management 2013 XRolling Owner Controlled Insurance Program (ROCIP) X
Governance: Planning and Organization:Information Technology - Remediation and Follow-Up X X XVendor Risk Management / Compliance and Monitoring (Shadow IT) 2015 XInformation Security Policy Review 2015 XIncident Management & Response Review XHuman Resource/Employee Privacy Review XEnterprise SDLC Review 2013 X XIT Governance Review 2012 XCrisis Management / Business Continuity Program 2014 X X
Technical & Operations: Information Security and Application Support:Operational Applications ITGC - SCADA 2015 XNetwork Penetration Testing (Corp/SCADA/Wifi) 2015 X XCustomer Data Collection and CIS (Integrated) XDB/OS Privileged User 2010 XSoftware and Asset Management 2014 X XHelp Desk Operations 2012GIS System 2014 XInternal Network & Telecommunications 2013 X
Legal Operations - Case Management 2014 XRegulatory Compliance Monitoring 2013 X
DC Water & Sewer AuthorityProposed Internal Audit Plan
Audit Universe
Overall Internal Audit Management
Audits by Department and/or Division
Follow-up and Cycle Audits
X
X
WORKING DRAFT - as of January 28, 2016
LegendX
X
XX
Office of the General Manager
Support ServicesFacilities
Fleet
Human Capital Management
Customer Services
Emergency Management
Sewer Services
Utility Services - Drinking Water
Blue Plains (Wastewater Treatment)Maintenance Services
Wastewater Treatment - Operations
Customer Services
Occupational Safety and Health
Engineering and Technical Services
Contingency and Requested Audits and Projects
FinanceFinancial Accounting and Reporting
Procurement
Budget, Planning and Analysis
Treasury, Debt and Risk Management
Information Technology
Long-Term Control Plan
General Counsel
Department of Engineering & Technical Services
Audit Committee - 3. Internal Audit Update - Dan Whelan, RSM, Auditor General
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©2015 RSM US LLP. All Rights Reserved. ©2015 RSM US LLP. All Rights Reserved.
DC WATER INTERNAL AUDIT
Retail Rates Implementation
Progress Report
January 2016
Audit Committee - 3. Internal Audit Update - Dan Whelan, RSM, Auditor General
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©2015 RSM US LLP. All Rights Reserved.
Table of Contents
Transmittal Letter…………………………………………………………………………………………….........3
Objectives………………..…………………………………………………………………….…………..…........4
Approach…………………………………………………………………..…………………………….….………5
Background…………………………………………………………………………………………………………7
Data Clean-up Phase 1……………………………………………………………………………………..…8-12
User Acceptance Testing……………………………………………..………………………………………….13
Invoice Testing……………………………..……….....................................................................................15
Data Clean-up Phase 2…....………......………………………………..………...…………………………15-16
Other Accomplishments and Next Steps……………………………………..…………...……..………...….17
Informational Resources..…....................................................................................................................18
Process Maps…………………………………………………………………………………………………19-28
2
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©2015 RSM US LLP. All Rights Reserved.
Transmittal Letter
January 2016
The Audit Committee of DC Water5000 Overlook Avenue, SWWashington, DC 20032
Pursuant to the approved 2015 and 2016 internal audit plan, we hereby submit the following progress report related to the retail rates pre-and post-implementation plan, including suspended and continued invoice testing. Our report is organized in the following sections:
Our work has and continues to assist management with facilitation of this project. We did not, nor does DC Water desire us to, perform anymanagement functions, make management decisions, or otherwise perform in a capacity equivalent to that of an employee or officer of DCWater.
We would like to thank the staff and all those involved in assisting the Internal Auditors in connection with this review.
Respectfully Submitted,
INTERNAL AUDITORS
3
Objectives and Approach The objectives of our procedures and our approach to the execution of those procedures are
expanded upon in this section.
Project Snapshot This section provides an overview of the current status of each area subjected to our
procedures.
Process Maps This section provides a visual depiction of the workflow of all key processes included within
our scope.
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©2015 RSM US LLP. All Rights Reserved.
Objectives
Objectives
The purpose of this review is to obtain an understanding of the implemented FY16 retail rates and related rate structure changes and assist
management with the assessment of the Retail Rates Implementation (“RRI”) plan execution for completeness and accuracy. Rate structure
changes went into effect on October 1, 2015. The audit scope is based on the following objectives:
• To obtain and review the Rate Design Implementation Plan, including monitoring and reporting on the status of the plan;
• To assess the data clean-up process, including:
o Proper classification of property type (identification of premise changes)
o Validating meter size accuracy;
• To review existing business rules (not system requirements) established for the rates implementation and make recommendations, as
applicable;
• Identify any additional requirements for the rate design implementation;
• To evaluate the design, completeness and effectiveness of the RRI User Acceptance Testing (UAT) approach;
• Perform invoice testing to recalculate and verify that bills sent to customers are accurate;
• Analyze billing adjustments made during October – December 2015.
4
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©2015 RSM US LLP. All Rights Reserved.
Approach
Approach
Our approach consisted of the two following phases described below:
Obtaining an Understanding
In order to establish a foundational understanding of the new rate structure, the implementation plan and the related-business processes and
to better assist DC Water, RSM met with key members of Finance, Customer Service, and Information Technology, including personnel on
the rates steering committee. Major work steps as a part of this phase were as follows:
• Key process owner interviews to understand meter operations and billing processes;
• New rates structure and Rate Design Implementation Plan review;
• Business rules review;
• Identification of data clean-up efforts; and
• Review of the UAT.
Detailed Testing and Walkthroughs
The purpose of this phase was to validate that the implementation of the new rate structure was properly documented, executed, and, as
needed, changes were appropriately made. Our testing procedures included:
• Walkthroughs of the data clean-up efforts, including premise validation and meter size validation;
• Re-performance of the premise validation process, on a sample basis;
• Physical verification of premise classification through site-visits, on a sample basis;
• Review of audit trail to ensure system changes were appropriately documented in eCIS for data clean-up activities;
• Validation of populations selected for data clean-up process;
• UAT Assessment, including re-performance, observation and inquiry of implementation testing procedures;
• Walkthroughs of the invoice recalculation process with Customer Service; and
• Recalculation of invoices following October 1, 2015 implementation date.
5
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©2015 RSM US LLP. All Rights Reserved. ©2015 RSM US LLP. All Rights Reserved.
Pre-ImplementationData Clean-up and User Acceptance Testing
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©2015 RSM US LLP. All Rights Reserved.
Background
Retail Rates Implementation Steering Committee
To ensure that the new retail rates were applied to customer accounts appropriately and accurate billing operations continue, a steering
committee was established to facilitate the implementation process. The steering committee consists of managers from each of the
departments impacted by the rates change. The departments include, Customer Service, Finance, External Affairs, Information Technology,
and Permits. The project sponsors are the Chief Financial Officer, AGM Customer Care and Operations, and the Chief Information Officer.
The project sponsors provide direction, approve funding, approve scope, and act as the project champions.
7
Project Sponsors:
Chief Financial Officer
AGM Customer Care & Operations
Chief Information Officer
Customer ServicesFinanceExternal AffairsInformation
TechnologyDETS
eCIS System
Administrator
Manager, Financial
Planning
Ext. Communication
ManagerManager, Enterprise
Applications
Director, Permit
Operations
Manager, Customer
Services - Billing
Manager, Customer
Services -
Collections
Director of
Customer Services
Analyst, Senior
Financial
Manager, Strategic
Initiatives, Finance
Accounting and
Budget
eCIS System
Support Analyst
Vertex
(eCIS Vendor)
Project Managers
Manager, Customer
Services – Meter
Operations
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©2015 RSM US LLP. All Rights Reserved.
Data Clean-up Phase 1Premise Validation Summary
Data Clean-up Phase 1: Premise Validation
The new rate structure is contingent on each customer’s property-type
or premise classification, thus reliance on DC Water customer records
became increasingly significant. In order to validate the accuracy of the
records, the steering committee established a data clean-up team.
One of the largest class of properties that were at risk for inaccuracies
were the multi-family, condominium and cooperate property-types,
which could be classified as either non-residential (if there is a
business in the building) or Multi-Family or Residential based on the
number of units in the property. DC Water identified 9,080 accounts
that needed to be validated for proper classification.
To validate the premise type, each account was assessed for number
of dwelling units in eCIS, the property use code was cross-checked the
against the Office of Tax & Revenue (OTR) online tool, and viewed
using Google maps street view. If the premise type still could not
validated, the account was sent to Permit Operations, to conduct a
field visit. The field visit team took notes on the property type and
provided pictures.
The accounts that were recommended for premise type change, were
sent to the Impervious Area Billing (IAB) for final premise type
validation. IAB utilized GIS and made updates, as needed, in the
impervious area database.
Internal Audit validated the population of accounts and re-performed
the validation steps above for 65 accounts. Additionally, we conducted
site visits of the accounts to further validate that DC Water had
properly classified the accounts. No exceptions were noted.
8
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©2015 RSM US LLP. All Rights Reserved.
Data Clean-up Phase 1Premise Validation Metrics
9
Premise Validation # of Accounts
(approx.)
Percentage
of Total
Accounts
Total accounts reviewed 9,080 100%
Accounts requiring field visit to
determine premise type 119 1.3%
Accounts sent to Impervious Area
Billing for final review and
validation1,457 16.0%
Accounts Purged 5 0.1%
No Change 129 1.4%
Accounts Changed 1,323 14.6%
Source: Premise validation results were provided by Customer Service Data Clean-up team, Permit Operations and
Impervious Area Billing.
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©2015 RSM US LLP. All Rights Reserved.
Data Clean-up Phase 1Meter Size Validation Summary
Large Meter Validation
The Water System Replacement Fee (WSRF), was established in order to recover the 1% renewal
and replacement of water service lines. As the fees were based on meter size, customers with larger
meters would be significantly impacted.
The data clean-up team worked with meter operations to determine large non-federal meters to
review for meter size accuracy. The initiative focused on validating 8, 10, 12, 16 inch meters, as
theses meters have the highest monthly fee. Large Meter Technicians conducted physical
inspections to document if the meter size was correct.
Internal Audit conducted a walkthrough with the Meter Operations team to determine how the
population was identified and obtained evidence of completion of the validation process.
Fire Suppression System – 2 Inch Meter Validation*
Special Provision 112.11 of DCMR Chapter 21 states "Residential customer, whose premises is
served by a meter that is larger than one inch (1”), shall be charged a monthly Water System
Replacement fee set forth in Subsection 112.10(a) for a one inch (1”) meter.”
In order to identify existing residential accounts (not new construction), that may qualify for the
provision, the Rates Implementation Steering Committee obtained a listing from eCIS of residential
accounts that have a 2” meter. The list of 661 accounts were provided to Permit Operations to
determine if the 2” meter was needed due to a fire suppression system. Permit Operations utilized
permit plans and direct contact with customers in order to validate the purpose of the meter size and
ensure that they were classified appropriately, in order to received the lower WSRF.
Internal Audit conducted a walkthrough with the Permit Operations team to determine how the
population was identified and obtained evidence of completion of the validation process.
10
*Validation Process occurred prior to the Board revision of Special Provision 112.11.
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©2015 RSM US LLP. All Rights Reserved.
Data Clean-up Phase 1Meter Size Validation Metrics
Large Meter Validation Fire Suppression System
11
Meter Size Validation # of Accounts
Residential Accounts with 2”
meter (existing construction) 661
Accounts validated through
permit plan 432
Accounts validated through
contact with customer 53
Residential accounts with fire
suppression system 485
90% of the
accounts were
validated through
permit plans or
customer contact
80% of
accounts
reviewed had a
fire suppression
system
Meter Size # of
Meters
Identified
(eCIS)
# of
Meters
Inspected
Final #
of
Meters*
Est. Annual
WSRF
Validated
8” Meters 142 113 112 $3,185,124
10” Meters 56 50 44 $3,526,855
12” Meters 2 2 5 $400,799
16” Meters 6 6 6 $480,935
Total
Meters206 171 167 $7,593,693
Meter Services were able
to inspect 83% of the 206
meters identified
*As needed, updates were made in eCIS to adjust the meter size. This total does not
include the meters that were not able to be inspected.
Source: Large Meter Validation results were provided by Customer Service – Meter Operations. Fire Suppression System results
were provided by Permit Operations.
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©2015 RSM US LLP. All Rights Reserved.
12
Other Data Clean-up Efforts:
In addition to the premise validation process of the 9,080 accounts, large meter validation and fire suppression data analysis, the
Data Clean-up team identified other sets of data to review and update in eCIS, as needed. Management has advised the tasks
are now complete and we will validate a sample of these accounts during the next progress reporting period. Below is a list of
the data clean-up efforts and the purpose of the reviews:
Data Clean-up Activity Purpose
Premise type validation of 10,000 commercial and non-residential
accounts with meter sizes 1” inch or less*
Verify if the property should be classified as residential
Premise type validation of 2,287 residential accounts with meter
sizes greater than 1” inch
Validate that the property is a residential property and is not being
utilized as a business or mix-use property
Zero usage residential and commercial accounts and zero billed
(approximately 1,400 residential accounts and 400 commercial
accounts)*
Determine if these accounts have zero usage due to seasonality
(municipalities, such as school) or are non-active accounts
Meter size validation of over 5,000 accounts that had different meter
size in two separate systems of record
Ensure meter size information in eCIS matches that of STAR (AMR)
*This clean-up activity was still in process during our phase 1 and phase 2 test period. Management has advised that DC Public Schools and
Federal Municipal accounts have been reviewed and validated.
Data Clean-up Phase 1Other Activities
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©2015 RSM US LLP. All Rights Reserved.
User Acceptance Testing Review Approach
• Inspect and evaluate the User Acceptance Testing (UAT) test plan to determine whether the plan covers all the Rate Redesign Implementation
billing requirements.
• Interview management team leads with the responsibility to complete the UAT and obtain an understanding of their testing methodology,
documentation requirements and process to remediate identified issues.
• Evaluate the UAT project management governance, monitoring and issue reporting/resolution controls.
• For a selection of completed UAT from each key DC Water test team (Customer Service, Information Technology, Finance and Accounting) re-
perform the selected UAT to determine whether the tester conclusions are in agreement with the McGladrey independent reviewer conclusions.
User Acceptance Testing Review Results
• The Rate Redesign Implementation UAT Test Plan covered the billing calculation requirements. The original 40 test plan cases were reduced to
36 due to redundancy and the removal of the 4 test cases were deemed to be reasonable.
• Management UAT team leads followed an effective testing methodology that required testing documentation requirements and included a process
to remediate identified issues.
• Project governance included timely status meetings and a process to resolve issues.
• Selected Customer Service, Finance, IT and Accounting testing team UAT evidence was supported and conclusions were in agreement with the
independent RSM reviewer.
• No material exceptions were noted.
Rate Redesign Implementation User Acceptance Testing Assessment
13
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©2015 RSM US LLP. All Rights Reserved. ©2015 RSM US LLP. All Rights Reserved.
Post-ImplementationInvoice Testing and Data Clean-up
Audit Committee - 3. Internal Audit Update - Dan Whelan, RSM, Auditor General
59
©2015 RSM US LLP. All Rights Reserved.
Invoice Testing Summary
When the new rate structure was implemented, invoices were suspended by one day while Customer Service and Finance recalculated the
invoices to verify accuracy. Invoice previews were selected from the BillVantage Web portal. Customer Service created a spreadsheet based
on the new rate specifications to recalculate the invoice amount based on property type, meter size, CCFs and ERUs used by each customer
(see example below). The spreadsheet generated dollar amount was agreed to each invoice total.
Invoices were also tested for correctness against the Customer Information System (eCIS). Customer address, account number, meter
number, property type, meter size, past and current read amount, past and current read date, and usage amount in the current period were
validated.
Internal Audit validated Customer Service’s recalculation spreadsheet and re-performed the validation steps above during the invoice
suspension period. We continued to test invoices periodically to monitor the new Retail Rates Implementation.
No exceptions were noted during Internal Audit’s testing of 200 invoices between 10/1/2015 and 11/12/2015.
15
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©2015 RSM US LLP. All Rights Reserved.
Data Clean-up Phase 2Premise Validation Summary
16
Data Clean-up: Premise Validation
During the pre-implementation of the rates structure, other data clean-
up activities were identified (reference slide “Data Clean-up Phase 1,
Other Activities”). One of the data clean-up efforts was to validate that
commercial and non-residential accounts with meter sizes 1” inch or
less were properly classified.
DC Water identified approximately 10,000 accounts that needed to be
validated for proper classification. As this effort is still on-going,
approximately 5,400 have been validated as of December 2015.
To validate the premise type, each account was assessed for number
of dwelling units in eCIS, the property use code was cross-checked the
against the Office of Tax & Revenue (OTR) online tool, and viewed
using Google maps street view. If the premise type still could not be
validated, the account was sent to Permit Operations to conduct a field
visit. The field visit team took notes on the property type and provided
pictures.
The accounts that were recommended for premise type change were
sent to the Impervious Area Billing (IAB) for final premise type
validation. IAB utilized GIS and made updates, as needed, in the
impervious area database.
Internal Audit validated the population of accounts and re-performed
the validation steps above for 30 accounts. Additionally, we conducted
site visits of the accounts to further validate that DC Water had
properly classified the accounts. No exceptions were noted.
Audit Committee - 3. Internal Audit Update - Dan Whelan, RSM, Auditor General
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©2015 RSM US LLP. All Rights Reserved.
Data Clean-up Phase 2Premise Validation Metrics
17
Premise Validation # of Accounts
(approx.)
Percentage
of Total
Accounts
Total accounts identified 10,000 100%
Total accounts reviewed 5,309 53.1%
Accounts changed 1,102 11.0%
Field visit required 81 0.8%
No change 4,126 41.3%
Source: Premise validation results were provided by Customer Service Data Clean-up team, Permit Operations and Impervious
Area Billing.
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©2015 RSM US LLP. All Rights Reserved.
Other Accomplishments and Next Steps
The Customer Service team will continue to ensure that system updates are operating effectively and the customer data is accurate. Othertasks that the customer service team has completed or are in-process include:
• Continuing data clean-up efforts and validation;
• Formalizing a process for meter downsizing, which requires approval from the permitting department;
• Analysis of Account Receivable collection and aging as a results of the rate changes; and
• Updating of SOPs, as needed.
Additionally, Customer Service has issued a Request for Proposal (RFP) for a CIS solution and implementation services. The RFP wasissued on November 3, 2015 and responses are due by January 13, 2016. It is estimated that a firm will be selected and contract finalized byMay 2016 and the project will begin in August 2016. Reference the anticipated schedule from the RFP below:
A customer billing and collections internal audit is proposed for Spring – Summer 2016.
18
No Description Completion Dates 2015-2016
1 RFP made available for download 11/3/2015
2 Intent-To-Propose Due from Proposers 11/9/2015, 4:00 PM Local Time
3 Discovery Session with each Proposer 12/7 – 12/11/2015
4 Final RFP Questions Deadline 12/14/2015
5 RFP Responses Due 1/13/2016, 4:00 PM Local Time
6 Select Short Listed Proposers 2/5/2016
7 Conduct Demonstrations 2/22 – 3/11/2016
8 Reference Checks 2/22 – 3/11/2016
9 Select Proposer Finalist 3/15/2016
10 Solution Validation Process 3/28 – 4/1/2016
11 Site Visits April 2016
12 Best and Final Offer Due 4/12/2016
13 Selection Approval May – June 2016
14 Contract Signed May – June 2016
15 Start CIS Project August 2016
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©2015 RSM US LLP. All Rights Reserved.
Informational Resources
Comprehensive Annual Financial Statements – Fiscal Year 2014, Statistical Section
2015 Cost of Service Study
Current Rate Specifications (located on 2016 Rate Change Project SharePoint)
DC Water Retail Water and Sewer Rates Committee Meeting – June 23, 2015
Fiscal Year 2016 Approved Rates
Rate Change Project Charter (located on 2016 Rate Change Project SharePoint)
Rate Redesign Project Analysis (located on 2016 Rate Change Project SharePoint)
19
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©2015 RSM US LLP. All Rights Reserved.
Process Maps
20
District of Columbia Water and Sewer Authority
Retail Rates Implementation Audit
Page 1 of 10
DE
TS
- P
erm
it
Ope
ratio
ns
Cus
tom
er
Ser
vice
– C
all
Cen
ter
Cus
tom
er
Cus
tom
er S
ervi
ce –
Impe
rvio
us A
rea
Bill
ing
(IAB
)
New Customer Set-up (Overview)
New construction?
Reviews premise specifications to ensure they are
aligned with requirements
Provides additional
information and forms
Any pertinent information missing?
Start
Request water meter set through required
design standards and formsNote 1
Yes
Yes
No
No
Flowchart Legend:
Decision PointStart/ End Sub process/FunctionOff-Page Connector Database Document
Process Step
Automated Control
Manual Control
Gap
Colors:
Note 1: Design standards and forms are located on DC Water’s website: https://www.dcwater.com/business/permits/criteria.cfmNote 2: JTX is the job tracking for ArcGIS, which DC Water updates when water meters are installed.
A premise dot is created within IADB of
JTXNote 2
“New Customer Setup, cont”
Existing Premise
Work order created in eCIS to install meter
“New Customer Set-up, cont” New Premise
Premise Master Record created in impervious area database (IADB)
IADB receives account and calculates
impervious area and sends to eCIS
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Cal
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Cen
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New Customer Set-up (Overview), continued
Water meter is installed at premise by meter operations and read set date is scheduled in SOS
Mobile/eCIS
Title company provides signed
HUD 1 after closing
Outstanding balance on account?
New owners name is added to existing account in the
customer information system (eCIS)
Flowchart Legend:
Decision PointStart/ End Sub process/FunctionOff-Page Connector Database Document
Process Step
Automated Control
Manual Control
Gap
Colors:
Final bill is sent to either seller / new
owner (based on HUD 1)
Date of ownership change/settlement is
recorded on account in eCIS
If account has a delinquent balance greater than $150,
water is shut off until paid
Yes
“Monthly Billing”
Note 1: Design standards and forms are located on DC Water’s website: https://www.dcwater.com/business/permits/criteria.cfmNote 2: JTX is the job tracking for ArcGIS, which DC Water updates when water meters are installed.
“New Customer Set-up” Existing
Premise
Account information is updated in eCIS and interface between
IADB assigns a premise number to the account
“New Customer
Set-up” New Premise
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Retail Rates Implementation Audit
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Ver
tex
(eC
IS v
endo
r)C
usto
mer
Ser
vice
– B
illin
g S
ervi
ces
Monthly Billing Process
Flowchart Legend:
Decision PointStart/ End Sub process/FunctionOff-Page Connector Database Document
Process Step
Automated Control
Manual Control
Gap
Colors:
Vertex downloads
meter data into eCIS
Was there a recent meter
read?
Was a manual meter read completed in 5
to 7 days?
Use historical data to
estimate bill
Meter number,MTU number, and
premise number are matched and verified
No
Any inconsistencies
/ errors?
No
No
Yes
“Monthly Billing Cont.”
Yes
All additional meter reads completed by Meter Operations and uploaded to
eCIS
Inconsistencies/errors are
investigated and resolvedNote 1
“New Customer Set-up, cont” tab
Note 1: As part of the ongoing service order processing related to meter change-outs, the analysts performing the service order close, perform additional QA activities to ensure that the Premise Number, Meter Number, and MTU match between the service order, CIS, and Star application, as well as check to ensure the meter is transmitting. Anomalies are reported to Meter Operations for research and resolution.
Yes
Work order generated through eCIS (SOS
mobile) for manual water meter read
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Process Maps
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Retail Rates Implementation Audit
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Ver
tex
(eC
IS
vend
or)
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Bill
ing
Ser
vice
s
KA
BR
A
(ven
dor)
Fin
ance
Monthly Billing Process, continued
Flowchart Legend:
Decision PointStart/ End Sub process/FunctionOff-Page Connector Database Document
Process Step
Automated Control
Manual Control
Gap
Colors:
Billing edit reports (queries) are ran to identify data errors
and inconsistencies
Any billing adjustments?
Authorized individual makes adjustments based on authority
matrix Note 1
Perform follow-up procedures to
investigate and resolve errors
Monthly invoices are printed and
mailed to customer
No
Any error or inconsistencies
?
Yes
“Monthly Billing” tab
Does customer have automatic
payment?
No
A/R process begins
Transmit billing, cash, refunds, cash adjustment,
and billing adjustment information
Bill emailed?
Yes
YesNo
No
Monthly invoices are generated for
customers
Yes
Note 1: The authority matrix includes the adjustment limits ($) that are allowed by each customer service member. The matrix is reviewed on a monthly basis and updated as necessary.
General Ledger updated in
Lawson
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-up
Tea
mD
ET
S -
Per
mit
Ope
ratio
ns
Data Clean-Up Process – Premise Type Validation
Flowchart Legend:
Decision PointStart/ End Sub process/FunctionOff-Page Connector Database Document
Process Step
Automated Control
Manual Control
Gap
Colors:
Note 1: Data clean-up effort 1: Query from eCIS was run for all active and inactive accounts with a premise type of Multi-Family and a premise type of Commercial with a “Condo (C)” or “Co-op(O)” dwelling code. An additional review was done to include premises with “condo”, “apartment”, “co-op”, and abbreviations of such in the account name to identify any additional condominiums or apartments to include.Note 2: In order to validate the property type, the data clean-up team utilized the use code in DC’s Office of Tax and Revenue records and through searches on Google Maps. Note 3: The contact types are used to track which accounts have been identified for review (RRDCA), have been reviewed and confirmed no change (RRDCB), have been reviewed and needs a change (RRDCC) and which account need a field visit (RRDCD).
StartCIS System Support Analyst downloads
accounts information from eCIS and saves via
an Excel file
Able to validate premise
classification?
QA&C Coordinator requests account
listing filtered for the appropriate data clean-up activity
Note 1
Data clean-up team members validates the premise classifications using online tools and
resourcesNote 2
QA&C Coordinator receives
recommended premise type
spreadsheet from field validation
Data clean-up team member provides excel spreadsheet to QA&C
Coordinator with premise type recommendation
“Data Clean-up Process Cont.” tab
No
QA&C Coordinator submits excel file of properties to Permit Operations for site visit (work order?)
Data clean-up team member updates
excel spreadsheet for the recommended
contact typeNote 3
Perform on-site visit to determine
premise classification
Take pictures of account premise for
documentation
Documents recommendation for
premise type in excel spreadsheet
Yes
QA&C Coordinator formats the excel spreadsheet, and
distributes portions of the excel
spreadsheet to the data clean-up team
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Process Maps
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Tea
mC
usto
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Ser
vice
–
Impe
rvio
us A
rea
Bill
ing
(IA
B)
Data Clean-Up Process – Premise Type Validation, continued
Flowchart Legend:
Decision PointStart/ End Sub process/FunctionOff-Page Connector Database Document
Process Step
Automated Control
Manual Control
Gap
Colors:
Note 1: The impervious area team utilizes GIS, JTX, and the Impervious Area database (IADB) to validate the premise type. Note 2: If the premise type is reclassified to residential, the IAB determines the appropriate usage tier for the account and rate schedules are altered.
QA&C Coordinator make adjustments to contact type on excel spreadsheet
Team member updates contact type
in eCIS
QA&C Coordinator performs review of
each premise’s classification
validation or change
Any changes?
Recommended changes to premise type are received
via excel spreadsheet
Impervious Area Database (IADB) premise type is
updatedNote 2
eCIS is updated for premise type and
bill type
QA – Vertex team performs “Edit
Process”, which flags any error between
changes and system
Connection from “Data Clean-up
Process” tab
End
Yes
No
IAB team reviews recommended changes using additional tools
Note 1
Premise type recommendation
correct?
QA&C Coordinator compiles
spreadsheet of recommended
premise changes
Yes
IAB team adds a Comment “CHG FROM XX to XX” indicating the
appropriate premise type and adds additional comments in the “Data
Clean-up Premise Validation-Change Report”
Data clean-up team updates eCIS for the “no change” contact
type.
Change different from data clean up recommendation?
Yes
Adds additional comment in the “Data
Clean-up Premise Validation-Change Report” stating no
change
NoNo
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– C
all C
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r
Meter Servicing and Replacement
Flowchart Legend:
Decision PointStart/ End Sub process/FunctionOff-Page Connector Database Document
Process Step
Automated Control
Manual Control
Gap
Colors:
Start
Receive customer
complaint or inquiry pertaining
to water meter
Technician visits premise site and
assesses the metering
equipment
Service order created in eCIS
Technician reviews service
order and obtains necessary equipment
Forman assigns Service Order to
technician in SOS mobile
Is meter functioning properly?
Determine root cause of meter
malfunction
Update information in service order in SOS Mobile and ACLARA
Note 1, Note 2, Note 4
Does the meter need replacing?
Note 3 No
YesNo
“Meter Servicing and
Replacement, cont” tab
NotesNote 1: Meter information inputted into SOS mobile includes MTU #, Meter #, Meter Reading, and Meter Type. This information is recorded from the old meters and the subsequent new meter (if necessary).Note 2: ACLARA programing entries require Meter #, Meter Type, MTU #, Meter Size (dropdown), Meter manufacturer (dropdown), and Premise #.Note 3: Per the American National Science Federation (ANSF), water meters must be comprised of no more than 0.25% lead (NSF 61, appendix F and G). As part of a meter assessment, DC Water technicians will replace a meter if it is a model that does not comply with ANSF’s regulation. Note 4: SOS Mobile and ACLARA are programs that run on the field technician’s GETAC laptop computer. These laptops are kept in each technicians truck and brought to sites.
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Process Maps
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Bill
ing
Ser
vice
s
Meter Servicing and Replacement, continued
Flowchart Legend:
Decision PointStart/ End Sub process/FunctionOff-Page Connector Database Document
Process Step
Automated Control
Manual Control
Gap
Colors:
NotesN1: Meter information inputted into SOS mobile includes MTU #, Meter #, Meter Reading, and Meter Type. This information is recorded from the old meters and the subsequent new meter (if necessary).N2: ACLARA programing entries require Meter #, Meter Type, MTU #, Meter Size (dropdown), Meter manufacturer (dropdown), and Premise #.N3: Per the American National Science Federation (ANSF), water meters must be comprised of no more than 0.25% lead (NSF 61, appendix F and G). As part of a meter assessment, DC Water technicians will replace a meter if it is a model that does not comply with ANSF’s regulation.
N4: New Meters: Come with tags on from the factory, with Meter #, and Low, Med, High flow test ratings. The meters also have pertinent information branded on them.N5: SOS Mobile and ACLARA are programs that run on the field technician’s GETAC laptop computer. These laptops are kept in each technicians truck and brought to sites. N6: The most common example of this is ‘duplicate meter serial numbers in use”. This can occur when a technician enters a serial number into SOS mobile/ACLARA and the meter associated with that serial number is already in use. This occurs commonly because meters are assigned serial numbers in sequence.
Update information in service order in SOS Mobile and
ACLARANote 1, Note 2, Note 5
Review changes to account in service order
End
Enter old meter readings & data into SOS Mobile
Program new MTU in ACLARA
Note 2
Remove old meter and install
new meterNote 4
Does the customer need a
billing adjustment?
No
Yes
Any issues with altered account
information?Note 6
Perform follow-up with meter
operations field technician
Physically remove and
disable transmission on
MTU
Yes
“Meter Servicing and Replacement”
tab
No
Calculate billing adjustment and apply to customer account
in eCIS
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Se
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Op
era
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s
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Se
rvic
e –
Bill
ing
Se
rvic
es
La
rge
Me
ter
Te
chni
cian
s
Large Meter Data Clean-up Initiative
Flowchart Legend:
Decision PointStart/ End Sub process/FunctionOff-Page Connector Database Document
Process Step
Automated Control
Manual Control
Gap
Colors:
Start
eCIS System Analyst
generates a query of all large
metersNote 1
Physically locate meter and
compares meter size to information
on query
Information accurate?
Record “No” on hardcopy
spreadsheet and add reason in the comments section
Update eCIS to reflect validated meter size and information (if
necessary)
No
NotesNote 1: There were approximately 142 8'” meters, 64 10" meters, and 10 12" and 16" inch meters. Note 2: Crew was provided a spreadsheet of all meters they were assigned to validate. The spreadsheets included premise number, service address, account number, acct name, acct status, acct type, meter number, meter size, utility code, meter type, service code, schedule code.Note 3: Technicians hand wrote information from on-site visits, so an admin was assigned to input the information manually into a organized spreadsheet. Note 4: Changes to the meter information in eCIS was expected, but the data clean-up team may have recent information in Service Orders that conflicts with what technicians found.
Meter Operations Manager divides query among crews and assigned large meter
technicians to validate meter size
Note 2
Record “Yes” on hardcopy
spreadsheet and leave comments
section blank
Yes
Administrative Assistant inputs information from on-site visits into
spreadsheetNote 3
Meter Operations Manager reviews
columns in spreadsheet for
accuracy / potential errors
Error in spreadsheet?
Follow-up with Technician and/ or
perform on-site follow-up
Review to determine if validation/ changes
provided conflicts with information in
eCISNote 4
Questions on report?
End
Provide listing of validated large
meters to Customer Care -
Billing
Yes
No
Yes
No
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Sys
tem
Inte
ract
ion
Ove
rvie
w
System Interaction Map
Flowchart Legend:
Decision PointStart/ End Sub process/FunctionOff-Page Connector Database Document
Information Input
System Request
System Gap
Colors:
eCIS (Customer Information System)
Rates MGMTBilling MGMT
Service Order MGMTAccount MGMT
Customer Service
ACLARASOS
Mobile
IADB (Premise Information System)Impervious area MGMT
Premise MGMT
Premise Info
Service Order for Meter
Operations
Meter Set request (new
customer)
Lawson (FMIS)Billing
Purchasing GLA/R
Maximo (WOS)Work orders
ContractsFacilities MGMTQuality MGMT
Change in Ownership of
premise
Meter Transmitting
Unit information
Water Meter Information
Technician’s GeTAC Laptop
Premise Information
inputted
Calculate impervious
area
Customer event
Account Info
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Internal Audit Report Overtime Audit and Analysis
January 2016
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Overtime Internal Audit Report Issued: January 2016
©2015 RSM US LLP. All rights Reserved.
TABLE OF CONTENTS Transmittal Letter........................................................................................................................................................................................................ 1 Executive Summary Background and Operational Analysis .................................................................................................................................................................. 2
Objective and Scope ............................................................................................................................................................................................. 2
Overall Summary / Highlights................................................................................................................................................................................ 2
Rating and Conclusions ........................................................................................................................................................................................ 3
Background, Objectives and Approach Background ........................................................................................................................................................................................................... 6
Objectives and Approach ...................................................................................................................................................................................... 9 Operational Analysis ................................................................................................................................................................................................ 11 Detailed Observations .............................................................................................................................................................................................. 20 Appendix A – Rating Definitions ............................................................................................................................................................................. 24 Appendix B – Seasonality of Work ......................................................................................................................................................................... 25
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Overtime Internal Audit Report Issued: January 2016
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TRANSMITTAL LETTER January 2016 The Audit Committee of DC Water 5000 Overlook Avenue, SW Washington, DC 20032 Pursuant to the approved 2016 internal audit plan for the District of Columbia Water and Sewer Authority (“DC Water” or the “Authority”, we hereby present our assessment of Overtime. We will presenting this report to the Audit Committee of DC Water at the next scheduled meeting on January 28, 2016. Our report is organized in the following sections:
Executive Summary This provides a summary of the observations and opportunities related to our internal audit of the Overtime process.
Background This provides an overview of the Overtime process.
Objectives and Approach The internal audit objectives and focus are expanded upon in this section, as well as a review of the various phases of our approach.
Operational Analysis This provides an analysis of DC Water’s overtime budget, expenditures and benchmarking to analyze DC Water’s performance.
Detailed Observations This section gives a description of the observations noted during our work and recommended actions as well as management’s response, responsible party, and estimated completion date.
We would like to thank the staff and all those involved in assisting the Internal Auditors in connection with this review. Respectfully Submitted, Internal Auditors
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Overtime Internal Audit Report Issued: January 2016
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EXECUTIVE SUMMARY
Background and Operational Analysis
In FY 2015, overtime expenditures were $7,467,306, which is 6.5% of total personnel costs and 1.4% of the Authority’s total operating budget. Over the past four fiscal years (FY 2012 – FY 2015), both overtime expenditures and hours have been increasing. Since FY 2012, overtime expenditures have increased by 33.7% and since FY 2013, DC Water has exceeded the overtime budget each fiscal year. The variances have been explained due to an increase in emergency responses to infrastructure repairs, maintenance and water main breaks, the reorganization in departments, and increase in capital projects. Overtime expenditures are budgeted annually by department as part of the overall Personnel Services budget. Due to vacancies, the Personnel Services expenditures have exceeded the budget once in the past four fiscal years.
In FY 2015, 80% of the Authority’s overtime expenditures came from five departments; Sewer Services, Department of Engineering and Technical Services, Water Services, Wastewater Treatment and Maintenance Services. These Departments have consistently had the highest overtime expenses during the last four fiscal years and were the focus of our audit. We conducted department-specific interviews and obtained evidence on how departments manage, plan, review and approve overtime.
Through our review, we identified department-specific control activities for the documentation and monitoring of overtime. This included documenting overtime justification, reconciliation processes, and root cause analysis.
In addition to assessing overtime at a department-level, we conducted an operational analysis in which we analyzed the leading overtime drivers and vacancies at the departments with the largest overtime expenditures, budget versus actual for both the overtime budget and the Personnel Services budget, and assessed DC Water’s overtime expenditures to comparable local water and wastewater authorities.
Overall Summary / Highlights The observations identified during our assessment are summarized on the next page. We have assigned relative risk or value factors to each observation. Ratings are not assigned to opportunities as these items represent best practices and/or recommended initiatives. Risk ratings are the evaluation of the severity of the concern and the potential impact on the operations of each item. Only observations will require management action plans with estimated completion dates that will be included in the routine follow up of internal audit observations.
Overall Rating (See Appendix A for definitions)
Number of Observations by Risk Rating
High Moderate Low
Overtime Audit 2 1 0
We would like to thank all DC Water team members who assisted us throughout this review.
Objective and Scope Our procedures were performed in accordance with the internal audit scope and approach set forth in our audit notification letter, dated 09/17/2015, and were limited to those procedures described therein. Our scope included the following:
• Determine how planned and emergency overtime is budgeted • Evaluate department-level overtime management and justification • Evaluate consistency in overtime procedures across the Authority • Evaluate compliance with Union agreements • Assess overtime usage by comparing budgeted overtime hours and
expenses to actual • Analyze DC Water’s Overtime Costs compare to other local utilities
Fieldwork was performed October 2015 through November 2015.
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Overtime Internal Audit Report Issued: January 2016
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EXECUTIVE SUMMARY (CONTINUED) Ratings and Conclusions
Following is a summary of High and Moderate observations noted in the areas reviewed. Definitions of the rating scales are included in the Appendices.
Observations and Improvement Opportunities
Observations Rating
1. OVERTIME JUSTIFICATION AND APPROVAL PROCESS
Upon review and inquiry of department-specific procedures, we identified that there is not a consistent process for documenting support or justification for overtime hours worked. Additionally, there is not a consistent review process to verify that overtime hours in DayForce, the timekeeping system, were actually worked and reconciled to supporting documentation prior to timesheet approval. While some departments have established a justification and review process, there is currently not an Authority-wide procedure on what must be maintained to support overtime worked. Of the departments in scope, three out of the five utilize an overtime justification form or a daily overtime summary. These forms are used to document the hours the employee worked, what caused the need for overtime, approval of the Foreman or Manager, and, if needed, the associated work order number. One out of the five departments did not utilize forms, but documented justification and related work order numbers in the “Manager Comments” field in DayForce. One of the five departments did not have a method of documenting overtime justification. Additionally, we noted that not all departments have a review process to ensure that overtime in DayForce is accurate and agrees to the supporting documentation during timesheet approval process. Though some of the departments utilize an overtime justification form, these forms are not always referenced when approving time. For three of the five departments interviewed, a reconciliation may occur by the timekeeper, but not the individual approving the time. Without a consistent Authority-wide procedure, documentation may not exist to support the overtime expenditures. Additionally, without a formal review process, overtime can go over budget or be inaccurately reported.
High
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EXECUTIVE SUMMARY (CONTINUED) Ratings and Conclusions (continued)
Observations Rating
2. DOCUMENTATION OF OVERTIME DISTRIBUTION Per Article 41, Administration of Overtime, of the NAGE Union Agreement, the AFSCME Local 2091 Working Conditions Agreement, AFGE 631 Working Conditions Agreement, and the AFGE 2553 Working Conditions Agreement, “Overtime work shall be equally distributed among employees and appropriate, specific arrangements for the implementation of this concept shall be agreed to at Union-Management Cooperation Meetings.” The current process for assigning overtime in accordance with the agreements has not resulted in any employee grievances or inquiries from the Unions. The procedures in place are manually performed, and heavily reliant on documenting the distribution trail. Upon review and inquiry of department-specific procedures, we noted the procedures and documentation maintained by individual departments for tracking the equal distribution of overtime varies by department and is not standardized. Of the departments in scope, two of the five departments utilized an overtime log to evidence that overtime has been offered to the qualified employees and that the employee either accepted or rejected the overtime offer. Three of the five departments had established an overtime schedule or rotation process, evidenced either by handwritten notes or overtime justification forms. However, the rotation schedule did not always evidence if an employee rejected the overtime or reasons for changes in schedule. Non-compliance with Union agreements could result in employee grievance and arbitration.
High
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EXECUTIVE SUMMARY (CONTINUED) Ratings and Conclusions (continued)
Observations Rating
3. MANAGEMENT REPORTING, EVALUATION AND ENFORCEMENT OF OVERTIME BUDGET On a quarterly basis, the Budget Department provides all Department Heads a report showing Personnel budgeted expenditures versus year-to-date actual expenditures. The report indicates the percentage of the budget that has been used to-date by department for regular pay, overtime and benefits. For departments that have exceeded the anticipated overtime budget (calculated by the percentage of payroll processed compared to overtime budget), the Budget Department requests an explanation. Upon review of the overtime reports and testing of department responses, we noted the following:
• For one of four departments in scope that exceeded the anticipated overtime budget, a response was not provided to the Budget Department. There is no formal review and approval process for the budget versus actual reports sent out.
• Overtime budgets are based on annual totals and analyzed both quarterly and monthly for the percentage of budget that has been utilized compared to the percentage of payroll expenditures that have been processed. Though sufficient monitoring of the budget is occurring, seasonality is not considered when requesting explanation for variances. For instance, some departments are impacted greater during the first two quarters of the fiscal year due to cold temperatures and increased water main breaks, snow removal, etc. These departments may always exceed the anticipated overtime budget due to these factors.
• The report did not account for scheduled overtime versus unplanned overtime. DC Water is reimbursed by the District of Columbia for scheduled overtime, such as planned events like the inauguration, which impacts the overall budget.
• Though the overall Personnel services expenditures have not exceeded the budget in the past few fiscal years, the Authority continues to exceed the overtime budget. Though there was improvement in FY 2015, the departments may not have adequate funds due to vacancies, aging infrastructure and other root causes identified.
Without proper review of the overtime budget, evaluation of departmental differences and explanation for variances, the Departments are not held accountable for potentially excessive overtime use.
Moderate
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BACKGROUND, OBJECTIVES AND APPROACH Background
DC Water has over 1,000 employees, including exempt (salaried), non-exempt (hourly), full and part-time employees, as well as Union- and non-Union classifications. Employees are located at five main facilities throughout the District of Columbia; however, a large percentage of employees are mobile and service the 1,350 miles of water pipes and 1,900 miles of sanitary and combined sewers. Approximately 64% of DC Water’s workforce is governed by one of five Union agreements. The Federal government and the District of Columbia have many laws and statues that the Authority must comply with regarding timekeeping. They include, but are not limited to, the Fair Labor Standards Act (FLSA), the Federal and Medical Leave Act of 1993, Final Rule, 29 CFR, Part 825 and applicable provisions of the District of Columbia Family and Medical Leave Act of 1990. In addition to the above, the Authority is currently involved with 5 collective bargaining agreements for Union employees. The agreements address working hours, shift pay policies and overtime distribution. They are as follows:
• American Federation of Government Employees, Local 2553 • American Federation of Government Employees, Local 631 • American Federation of Government Employees, Local 872 • American Federation of State, County, and Municipal Employees Local 2091 • National Association of Government Employees, R3-06
Changes to Automated Timekeeping System DC Water has implemented Ceridian DayForce Time and Attendance as part of the Authority-wide Ceridian Workforce Management implementation, which also includes benefits, human resources, payroll and recruiting modules. As a result of the DayForce implementation, internal controls and procedures, at both the department level and centrally within Payroll, have changed. Each Department is able to run reports based on overtime hours worked by employee. The capabilities of the new system greatly improve visibility into hours worked (time the employee clocks in and out), overtime distribution by department, automated compensatory time calculations, and automated the leave request process. In addition to conducting authority-wide training, the Payroll Department is in the process of updating the standard operating procedures. Overtime Process DC Water has both planned overtime and emergency overtime. Planned overtime could be for events occurring in the District of Columbia, such as the inauguration or assistance with snow removal, or could be negotiated as part of the Union contracts. More often, overtime is a result of emergency maintenance and service needs for DC Water’s customers. Currently, there is not a distinction between planned and emergency overtime in the budget, and therefore it is not monitored by these categories. Overtime for non-exempt employees is captured as part of the timekeeping process through the timeclock and is approved by the Supervisor or Manager weekly.
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BACKGROUND, OBJECTIVES AND APPROACH (CONTINUED) Background (continued)
Overtime Process (continued) Monitoring overtime hours and costs facilitates managing the risks associated with personnel fatigue and safety concerns, while also overseeing financial responsibilities. On a quarterly basis, the Budget Department provides all Department Heads a fiscal year budget versus year-to-date actual report. The report indicates the percentage of the budget that has been expended to-date by department for regular pay, overtime and benefits. Additionally, the Budget Department prepares monthly reports, which includes an analysis of the Operating Expenses such as overtime, for the Finance and Budget Committee. Management’s Accomplishments Through our review, we identified department specific control activities for the documentation and monitoring of overtime. For example, Sewer Services, Water Services, and Wastewater Treatment utilize an Overtime Justification Form, completed by the Foreman and reviewed by the General Foreman, to document hours worked, the reason the overtime was needed, and, if needed, the appropriate Maximo work order. In Maintenance Services, the Timekeeper adds reason for overtime into the comments of DayForce to justify overtime recorded. In Water Services, the Business Operations Specialist receives all Overtime Justification Reports and enters them into an access database to reconcile hours recorded in DayForce. Sewer Services sends a business report tracking year-to-date budget spending to the Business Office monthly. Statistics and Financial Information The following is a summary table of employees by functional category (as of September 30, 2015):
Functional Category Number Exempt (salary) 343 Non-Exempt (hourly) 806 Total Number of Employees 1,149
Part-Time / Temporary 19 Full-Time 1,130 Total Number of Employees 1,149
Union Employees 728 Non-Union Employees 421 Total Number of Employees 1,149
Total Number of Approvers 220 Total Number of Timekeepers 36
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BACKGROUND, OBJECTIVES AND APPROACH (CONTINUED) Background (continued)
Statistics and Financial Information (continued) In FY 2015, an overtime cost of $7,467,306 was incurred, which is 6.5% of total personnel costs and 1.4% of the Authority’s total operating expense budget. The personnel services expenses have increased year-to-year due to an increased hiring effort to reduce the authority-wide vacancy rate, emergency response to water main breaks caused by the fluctuation in temperature, and due to employee salary increases. Personnel service expenses are budgeted annually by department and takes into consideration vacancy rates, budgeted positions, Departmental re-organizations, salary adjustments and overtime costs to support on-going capital projects. Over the past four fiscal years (FY 2012 – FY 2015), both overtime costs and hours have been increasing. Since FY 2012, overtime expenditures have increased by 33.7%. Over the same time period, overtime hours have increased by 26.8%.
0
20,000
40,000
60,000
80,000
100,000
120,000
140,000
160,000
FY2012 FY2013 FY2014 FY2015TO
TAL
OT
HO
UR
S
Authority-wide Overtime Hours FY2012-FY2015
Source: FY 13-16 Revised Approved Budget Report Source: Ceridian Data provided by the Payroll Department
$0.00
$1.00
$2.00
$3.00
$4.00
$5.00
$6.00
$7.00
$8.00
FY 2012 FY 2013 FY 2014 FY 2015
MIL
LIO
NS
Authority-wide Overtime Expenditures FY2012 - FY2015
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BACKGROUND, OBJECTIVES AND APPROACH (CONTINUED) Objectives and Approach
Objectives The objectives of the internal audit of overtime were to:
• Determine how planned and unplanned overtime is budgeted on an annual basis; • Evaluate how overtime is managed at the department-level for high-usage departments, including the monitoring, distribution and documentation of overtime
usage; • Evaluate consistency in overtime procedures and controls across the Authority; • Evaluate how Ceridian DayForce, the timekeeping system, is utilized to manage overtime and workflow approvals; • Assess overtime usage, including:
o Comparing budgeted overtime hours and expenses to actual; o Benchmarking DC Water overtime usage to local water utilities; o Identifying root causes for unplanned overtime, and understand management’s determination of reasonableness;
• Evaluate for compliance with Union agreements; and • Determine how overtime statistics are utilized to make business decisions, including impact of authorized positions and vacancies.
Approach Our audit approach consisted of the following phases:
Understanding of the Process During the first phase of our approach, we conducted interviews with key personnel within the Payroll Department and Budget Department. We also analyzed overtime hours, expenditures and budget from the past four fiscal years (FY 2012 – FY 2015) to determine the departments with high overtime usage. The high-usage departments identified were:
• Sewer Services • Department of Engineering and Technical Services • Water Services • Wastewater Treatment • Maintenance Services
We obtained and reviewed DayForce training materials, any Authority-wide timekeeping procedures and guidelines. In addition, we reviewed the Union contracts to determine requirements related to overtime.
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BACKGROUND, OBJECTIVES AND APPROACH Objectives and Approach (continued)
Documented Walkthroughs and Overtime Analysis The purpose of this phase was to gain an understanding of department-level overtime policies, procedures, and controls. This phase included process walkthroughs with management from each of the departments identified above and inquiry of documentation. Specific procedures performed include:
• Obtained overtime statistics and conducted an inquiry of DayForce timekeeping controls with the Payroll Department • Inquiry and documentation of identification of emergency overtime and planned overtime at each department • Inquiry of planned and emergency overtime approval, documentation and reporting at each department • Inquiry of Department-level controls for management and analysis of overtime use • Inquiry and review of overtime budget and justification provided to the Budget Department • Testing of compliance with Union agreements, including the documentation of overtime distribution at each department • Analysis of overtime at DC Water compared to other local water and wastewater authorities
Reporting At the conclusion of this audit, we summarized our observations related to overtime pay at DC Water. We have reviewed the results of our testing with management.
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OPERATIONAL ANALYSIS In order to assess DC Water’s overtime costs, we analyzed the leading overtime drivers and vacancies at the departments with the largest overtime expenditures, budget versus actual for both the overtime budget and the Personnel Services budget, and assessed DC Water’s overtime expenditures to comparable local water and wastewater authorities. Overtime by Department In FY 2015, 80% of the Authority’s overtime expenditures came from five departments; Sewer Services, Department of Engineering and Technical Services, Water Services, Wastewater Treatment and Maintenance Services. These departments have consistently had the highest overtime expenses during the last four fiscal years. Each of these five departments have different drivers for greater overtime expenditures, as detailed in the chart below.
Department Leading Overtime Drivers Sewer Services • Sewer blockages/ leaks
• Aging infrastructure • Weather • New construction (strain on sewer system)
Department of Engineering and Technical Services (DETS)
• Contractor working hours • Weather • DOT permitted work hours (based on location, water shut-offs, traffic)
Water Services • Mains/valves leaks/breaks • Weather • Permitted work hours (based on location, water shut-offs, traffic) • Aging infrastructure • Contractor working hours
Wastewater Treatment • Built-in shift overtime • Short staffed • Weather (heavy rain) • Employee PTO days requiring other employees to work
Maintenance Services • Increase in training hours • Emergency services requested
Water Services
22%
DETS17%
Wastewater Treatment -Operations
16%
Maintenance Services
13%
Sewer Services
12%
DDCS11%
Customer Service
4%
Facilities 3%
Other 2%
FY 2015 Overtime Expenditures by Department
Source: FY 16 Revised Approved Budget Report
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OPERATIONAL ANALYSIS (CONTINUED) The following table illustrates the distribution of overtime expenditures and hours between departments over the most recent four fiscal years. The Budget Department monitors overtime expenditures compared to the budget on a monthly basis, in preparation of the Finance and Budget Committee reports. On a quarterly basis, the Budget Department provides a budget versus actual report to all Department Heads and request responses and support from departments who are trending towards going over budget. At the department level, overtime hours are more closely monitored, as the Departments do not always have control over salary increases due to union negotiations.
OT Expenditures and Hours by Department
FY 2012 FY 2013 FY 2014* FY 2015
Department OT Expenditures OT Hours OT
Expenditures OT Hours OT Expenditures OT Hours OT
Expenditures OT Hours #
Authorized Positions
# Employees earning OT
Water Services $881,000 17,669 $1,183,000 24,720 $1,473,000 28,227 $1,635,658 33,537 194 141
DETS $780,000 14,216 $941,000 15,394 $904,000 13,263 $1,278,014 16,672 166 55
Wastewater Treatment - Operations $1,093,000 22,404 $1,089,000 21,863 $1,510,000 28,277 $1,216,487 23,178 118 103
Maintenance Services $718,000 13,875 $928,000 17,393 $1,227,000 23,524 $967,062 17,903 117 91
Sewer Services $875,000 21,705 $1,218,000 28,480 $1,476,000 28,465 $880,148 20,181 120 97
Distribution and Conveyance Systems $142,000 3,079 $146,000 3,137 $279,000 4,033 $804,324 15,137 87 53
Customer Service $178,000 4,063 $216,000 5,051 $194,000 4,003 $266,299 5,226 124 89
Facilities $190,000 2500 $219,000 3,730 $242,000 3,408 $234,944 5,376 67 48
All Other Departments $97,000 3,849 $166,000 6,075 $220,000 6,897 $184,370 3,924 267 63
Total $4,954,000 103,360 $6,106,000 125,842 $7,525,000 140,096 $7,467,306 141,134 1,260 740
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OPERATIONAL ANALYSIS (CONTINUED) Overtime expenditures in most departments have been increasing year by year. This is a result of aging infrastructure, increasing severe weather events, vacancies, increasing costs, and additional factors (reference “Leading Overtime Drivers” table on page 11). In FY 2015, overtime expenditures of $7,467,306 accounted for 6.5% of personnel costs, down from 6.9% in FY 2014. This amount is 1.4% of the Authority’s total operating revenue.
Fiscal Year
FY 2012 FY 2013 FY 2014 FY 2015** Overtime Expenditures $4,954,000 $6,106,000 $7,525,000 $7,467,306
Overtime Budget $5,016,987 $5,166,209 $5,359,100 $6,067,920 Personnel Services Expenditures* - Operating & Capital $107,334,000 $118,567,000 $125,756,000 $134,263,000
Personnel Services - Capital ($9,550,000) ($14,659,000) ($17,289,000) ($18,741,000)
Personnel Services Expenditures – Operating $97,784,000 $103,908,000 $108,467,000 $115,522,000
Personnel Services Budget – Operating & Capital $111,114,000 $116,609,000 $119,765,000 $135,544,000 Personnel Services Budget – Capital ($14,000,000) ($16,690,000) ($12,960,000) ($17,266,000)
Personnel Services Budget – Operating $97,114,000 $99,919,000 $106,805,000 $118,278,00
Operating Revenue $440,566,000 $439,079,000 $473,824,000 $546,096,000 OT Expenditures % of Personnel Costs – Operating & Capital 5.1% 5.9% 6.9% 6.5%
OT Expenditures % of Operating Revenue 1.1% 1.4% 1.6% 1.4%
*Personnel costs includes salary and overtime, benefits, and bonuses. **These are preliminary year-end results pending the audited financial statements. Source: Consolidated annual financial reports and FY 13-16 Revised Approved Budget Reports and September 30, 2015 Finance and Budget Report.
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OPERATIONAL ANALYSIS (CONTINUED)
$0.00$0.20$0.40$0.60$0.80$1.00$1.20$1.40$1.60
Engineering& Technical
Svcs
WaterServices
SewerServices
WastewaterTreatment -Operations
MaintenanceServices
MIL
LIO
NS
FY 2014 Overtime Budget versus Actual by Department
Actual Budget
$0.00
$0.50
$1.00
$1.50
$2.00
Engineering& Technical
Svcs
WaterServices
SewerServices
WastewaterTreatment -Operations
MaintenanceServices
MIL
LIO
NS
FY 2015 Overtime Budget versus Actual by Department
Actual Budget
Budget versus Actual Overtime Analysis The Authority budgets for overtime on an annual basis. These graphs depict the actual and budget figures for overtime by department for the most recent three fiscal years and the five highest earners of overtime. In FY 2013 and FY 2014, all five departments went over budget on overtime spending. In FY 2015, Sewer Services and Wastewater Treatment Departments both stayed within the budget for overtime expenditures, while the remaining three departments exceeded their FY 2015 budget. During FY 2014, the Pumping division from Water Services and Sewer Services we reorganized to the Distribution and Conveyance Systems Departments, which is a contributing factor to the overtime budget and costs for these departments.
Budget Source: Finance & Budget Committee Meeting Reports Actual Source: FY 15 Revised Approved Budget Reports
Budget Source: Finance & Budget Committee Meeting Reports Actual Source: FY 14 Revised Approved Budget Reports
Budget Source: Finance & Budget Committee Meeting Reports Actual Source: FY 16 Revised Approved Budget Reports
$0.00$0.20$0.40$0.60$0.80$1.00$1.20$1.40
Engineering& Technical
Svcs
WaterServices
SewerServices
WastewaterTreatment -Operations
MaintenanceServices
MIL
LIO
NS
FY 2013 Overtime Budget versus Actual by Department
Actual Budget
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OPERATIONAL ANALYSIS (CONTINUED) The table below includes the final revised budget and actual expenditures for overtime for FY 2012 through FY 2015. Total actual overtime expenditures exceeded the Authority’s overtime budget by 23% in FY 2015.
FY 2012-FY 2015 Overtime Budget versus Actual
FY 2012 FY 2013 FY 2014** FY 2015
Department Actual Budget Actual Budget Actual Budget Actual Budget DETS $780,000 $548,481 $941,000 $680,000 $904,000 $780,000 $1,278,014* $1,070,000 Water Services $881,000 $1,080,000 $1,183,000 $1,080,000 $1,473,000 $980,000 $1,635,658 $960,000 Sewer Services $875,000 $900,000 $1,218,000 $900,000 $1,476,000 $900,000 $880,148 $767,000 Wastewater Treatment - Operations $1,093,000 $956,000 $1,089,000 $847,209 $1,510,000 $1,108,100 $1,216,487 $1,233,890 Maintenance Services $718,000 $800,000 $928,000 $700,000 $1,227,000 $725,000 $967,062 $800,000 All Other Departments $607,000 $732,506 $747,000 $959,000 $935,000 $866,000 $1,489,937 $1,237,030 Total $4,954,000 $5,016,987 $6,106,000 $5,166,209 $7,525,000 $5,359,100 $7,467,306 $6,067,920 Variance 1.26% -18.19% -40.42% -23.06%
Budget and Actual Sources: Finance & Budget Committee Meeting Reports, FY 13-16 Revised Approved Budget Reports *Engineering and Technical Services Department includes overtime that will be transferred to capital projects as part of the year-end close out process by the Accounting team.
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OPERATIONAL ANALYSIS (CONTINUED) Vacancies by Department In order to determine if departmental vacancies had an impact on overtime, we assessed the vacancies by department from FY 2012 through FY 2015. Overall, vacancy rates are decreasing as a results of an increased hiring effort Authority-wide and a reduction in the authorized positions. Though vacancy rates are decreasing, overtime costs and hours are still increasing.
Authorized Positions and Average Vacancies
FY 2012 FY 2013 FY 2014 FY 2015
Departments Authorized Positions
Average Vacant % Authorized
Positions Average Vacant % Authorized
Positions Average Vacant % Authorized
Positions Average Vacant* %
DETS 156 32 20.5% 166 26 15.6% 166 21 12.7% 166 17 10.2%
Water Services** 184 25 13.6% 207 45 21.7% 207 44 21.3% 194 22 11.3%
Sewer Services** 159 8 5.0% 158 5 3.2% 158 18 11.4% 120 11 9.2%
Wastewater Treatment - Operations 121 4 3.3% 108 7 6.5% 118 14 11.9% 118 6 5.1%
Maintenance Services 139 34 24.4% 115 17 14.8% 117 17 14.5% 117 8 6.8%
Total 759 103 754 100 766 114 715 64
Source: FY 13-16 Revised Approved Budget Reports *Vacancies based on actual as of September 30, 2015. **During FY 2014, the Pumping division from Water Services and Sewer Services were reorganized to the Distribution and Conveyance Systems Departments, thus the number of authorized positions in FY 2015 decreased for Water and Sewer Services.
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OPERATIONAL ANALYSIS (CONTINUED) Comparable Entities and Overtime Expenditures
The following graphs compare DC Water’s overtime expenditures from FY 2014 to the following local water and waste water authorities:
• Fairfax County Water Authority (Fairfax County) • Washington Suburban Sanitary Commission (WSSC) • Baltimore City Department of Public Works (Baltimore) • Richmond Department of Public Utilities (Richmond) • Virginia Beach Public Utilities (Virginia Beach) • Howard County Bureau of Utilities (Howard County) • Anne Arundel County Bureau of Utilities (Anne Arundel)
Organizations of all types and sizes recognize the value of comparing themselves to other like organizations. The process of benchmarking yields valuable information to leaders and decision makers. There are, however, some dangers inherent in the benchmarking, since no authority is the perfect comparison to DC Water. Some of the differences between the authorities include:
• Union versus non-unionized staff; • Not all authorities treat wastewater, some only treat part of their
service area’s wastewater; • Different technology is being used and implemented; • Age of infrastructure; • Vacancy rates, and; • Response time to emergencies.
Reference the table on page 15 for more details on the specific authorities that were analyzed. As evidenced by the following graphs, DC Water’s overtime expenditures in FY 2014 were roughly consistent with other local authorities, when compared with the number of customers, number of employees, and amount of personnel expenditures. Despite having more customers than both Baltimore and WSSC, DC Water had lower overtime costs. However, DC Water overtime costs per employee is $6,731, which is approximately $2,000 greater than WSSC’s and Baltimore’s employees. DC Water’s overtime costs compared to personnel costs falls at a level between Baltimore and WSSC.
Source: Respective authorities’ websites and information provided by the entity.
Fairfax County
WSSCDCW
Baltimore
Virginia Beach
Howard County
Benchmark
$0
$1,000,000
$2,000,000
$3,000,000
$4,000,000
$5,000,000
$6,000,000
$7,000,000
$8,000,000
$9,000,000
- 100,000 200,000 300,000 400,000 500,000 600,000 700,000 O
VE
RTI
ME
CO
ST
FY20
14
NUMBER OF CUSTOMERS
Overtime versus Number of Customers
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OPERATIONAL ANALYSIS (CONTINUED)
Source: Respective authorities’ websites and information provided by the entity.
Source: Respective authorities’ websites and information provided by the entity.
Fairfax County
WSSCDCW
Baltimore
Virginia BeachHoward County
Benchmark
$0
$1,000,000
$2,000,000
$3,000,000
$4,000,000
$5,000,000
$6,000,000
$7,000,000
$8,000,000
$9,000,000
- 500 1,000 1,500 2,000 2,500
OV
ER
TIM
E C
OS
TS F
Y20
14
NUMBER OF EMPLOYEES
Overtime versus Number of Employees
Fairfax County
WSSCDCW
Baltimore
Howard County
Virginia Beach
Benchmark
$0
$1,000,000
$2,000,000
$3,000,000
$4,000,000
$5,000,000
$6,000,000
$7,000,000
$8,000,000
$9,000,000
$0 $50,000,000 $100,000,000 $150,000,000 $200,000,000
OV
ER
TIM
E E
XPE
ND
ITU
RE
S F
Y20
14
PERSONNEL EXPENDITURES FY2014
Overtime versus Personnel Expenditures
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OPERATIONAL ANALYSIS (CONTINUED) The following chart includes overtime and general information on DC Water and other local water authorities.
Local Entities 2014 Overtime Expenditures
2014 Operating Revenue
2014 Personnel
Expenditures No. of
Customers No. of
Employees Wastewater Treatment? Unionized?
DC Water and Sewer Authority $7,525,000 $473,824,000 $108,467,000 646,449 1,118 yes yes
Baltimore Department of Public Works $8,403,075 $338,201,0001 $109,548,0001 400,000 1,944 yes yes
Washington Suburban Sanitary Commission $7,181,000 $624,358,000 $19,006,3000 460,000 1,530 yes yes
Fairfax County Water Authority $2,859,870 $182,200,000 $54,621,000 280,546 424 no no2
Virginia Beach Public Utilities $1,269,921 $152,805,112 $28,606,319 262,254 412 no no2
Howard County Bureau of Utilities $750,000 $57,220,944 $11,209,394 65,000 154 yes yes
Benchmark3 $4,664,811 $304,768,176 $83,752,452 352,375 930
The following chart includes the key performance indicators, based on the information above.
Local Entities Overtime Costs per Employee
Overtime Expenditures as a Percentage of
Revenue
Overtime Expenditures as a Percentage of
Personnel Expenditures # Customers per Employee
DC Water and Sewer Authority $6,731 1.59% 6.94% 578
Baltimore Department of Public Works $4,323 2.48% 7.67% 206
Washington Suburban Sanitary Commission $4,693 1.15% 3.78% 301
Fairfax County Water Authority $6,745 1.57% 5.24% 662
Virginia Beach Public Utilities $3,082 .83% 4.44% 637
Howard County Bureau of Utilities $4,870 1.31% 6.69% 422
Benchmark1 $5,074 1.49% 5.79% 468
1Baltimore Department of Public Works data is based on FY2013 data. 2VA does not allow collective bargaining in the public sector 3Benchmark based on the aggregate of DC Water and Sewer Authority, Baltimore Department of Public Works, Washington Suburban Sanitary Commission, Fairfax County Water Authority, Virginia Beach Public Utilities, and Howard County Bureau of Utilities. Source: Respective authorities’ websites as well as contact people from each authority. Note that Operating Revenue and Personnel Expenditures are specific to Water and Sewer functions within each authority.
1Benchmark based on the aggregate of DC Water and Sewer Authority, Baltimore Department of Public Works, Washington Suburban Sanitary Commission, Fairfax County Water Authority, Virginia Beach Public Utilities, and Howard County Bureau of Utilities.
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DETAILED OBSERVATIONS
Overtime Internal Audit
1. Overtime Justification and Approval Process Recommendation Management’s Action Plan
Observation Rating: High
Upon review and inquiry of department-specific procedures, we identified that there is not a consistent process for documenting support or justification for overtime hours worked. Additionally, there is not a consistent review process to verify that overtime hours in DayForce, the timekeeping system, were actually worked and reconciled to supporting documentation prior to timesheet approval. While some departments have established a justification and review process, there is currently not an Authority-wide procedure on what must be maintained to support overtime worked.
Of the departments in scope, three out of the five utilize an overtime justification form or a daily overtime summary. These forms are used to document the hours the employee worked, what caused the need for overtime, approval of the Foreman or Manager, and, if needed, the associated work order number. One out of the five departments did not utilize forms, but documented justification and related work order numbers in the “Manager Comments” field in DayForce. One of the five departments did not have a method of documenting overtime justification.
Additionally, we noted that not all departments have a review process to ensure that overtime in DayForce is accurate and agrees to the supporting documentation during timesheet approval process. Though some of the departments utilize an overtime justification form, these forms are not always referenced when approving time. For three of the five departments interviewed, a reconciliation may occur by the timekeeper, but not the individual approving the time. Without a consistent Authority-wide procedure, documentation may not exist to support the overtime expenditures. Additionally, without a formal review process, overtime can go over budget or be inaccurately reported.
We recommend that all Departments authority-wide implement a consistent procedure to document overtime justification and a procedure to reconcile justification in DayForce to ensure that overtime expenditures are accurate and supported.
Some Departments have established good practices that could be applied Authority-wide, such as:
- Overtime justification forms that document the hours worked and associated work order or project that supports the overtime;
- Reconciliation of overtime justification forms to hours in DayForce, which are provided to the timesheet approvers for review and validation;
- Update “Manager Comments” in DayForce that summarizes why OT hours were needed or references a work order or project number.
Response:
Management agrees with the recommendation, and recommendation will be implemented in two phases. First, departments not following a process will adopt the internal best practice as an interim measure. Second, we will develop a standardized process authority-wide and implement it with sufficient internal controls.
Responsible Party:
AGM’s, CIO, CE, COO
Target Date:
• Adoption of internal best practice for OT - January 30, 2016
• Unified best practice – March 1, 2016
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DETAILED OBSERVATIONS (CONTINUED)
Overtime Internal Audit
2. Documentation of Overtime Distribution Recommendation Management’s Action Plan
Observation Rating: High
Per Article 41, Administration of Overtime, of the NAGE Union Agreement, the AFSCME Local 2091 Working Conditions Agreement, AFGE 631 Working Conditions Agreement, and the AFGE 2553 Working Conditions Agreement, “Overtime work shall be equally distributed among employees and appropriate, specific arrangements for the implementation of this concept shall be agreed to at Union-Management Cooperation Meetings.” The current process for assigning overtime in accordance with the agreements has not resulted in any employee grievances or inquiries from the Unions. The procedures in place are manually performed, and heavily reliant on documenting the distribution trail. Upon review and inquiry of department-specific procedures, we noted the procedures and documentation maintained by individual departments for tracking the equal distribution of overtime varies by department and is not standardized. Of the departments in scope, two of the five departments utilized an overtime log to evidence that overtime has been offered to the qualified employees and that the employee either accepted or rejected the overtime offer. Three of the five departments had established an overtime schedule or rotation process, evidenced either by handwritten notes or overtime justification forms. However, the rotation schedule did not always evidence if an employee rejected the overtime or reasons for changes in schedule. Non-compliance with Union agreements could result in employee grievance and arbitration.
Management should coordinate with the Labor Relations Manager to determine if specific arrangements and requirements for documenting the distribution of overtime were agreed upon at the Union-Management Cooperation Meetings.
The Authority should establish minimum requirements for performing and documenting the overtime allocation. Where possible, the Payroll Department should automate requirements through the DayForce Time and Attendance module.
Response:
Those departments that do not have an OT call-out procedure will adopt internal best practice as an interim remedy. The current call out practice, seems to be acceptable to both, union and management. However, we will review adopt a unified authority wide OT call-out procedure.
Responsible Party:
AGM’s, CE, CoS, CIO, COO
Target Date:
March 1, 2016
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DETAILED OBSERVATIONS (CONTINUED)
Overtime Internal Audit
3. Management Reporting, Evaluation and Enforcement of Overtime Budget
Recommendation Management’s Action Plan
Observation Rating: Moderate
On a quarterly basis, the Budget Department provides all Department Heads a report showing Personnel budgeted expenditures versus year-to-date actual expenditures. The report indicates the percentage of the budget that has been used to-date by department for regular pay, overtime and benefits. For departments that have exceeded the anticipated overtime budget (calculated by the percentage of payroll processed compared to overtime budget), the Budget Department requests an explanation. Upon review of the overtime reports and testing of department responses, we noted the following:
• For one of four departments in scope that exceeded the anticipated overtime budget, a response was not provided to the Budget Department. There is not a formal review and approval process for explanation of variances in the budget versus actual reports.
• Overtime budgets are based on annual totals and analyzed both quarterly and monthly for the percentage of budget that has been utilized compared to the percentage of payroll expenditures that have been processed. Though sufficient monitoring of the budget is occurring, seasonality is not considered when requesting explanation for variances. For instance, some departments are impacted greater during the first two quarters of the fiscal year due to cold temperatures and increased water main breaks, snow removal, etc. These departments may always exceed the anticipated overtime budget due to these factors. Reference Appendix B for graphs that show seasonality by Department
In order to improve upon the existing monitoring and reporting requirements for overtime, the Budget Department in coordination with the departments should:
1. Require Department Heads to provide explanations for exceeding the overtime budget. Establish an escalation process for those that do not respond.
2. At a department-by-department basis, analyze past year trends and determine if seasonality can be utilized to establish a better benchmark than percentage of payroll expenditures processed.
3. Determine if scheduled overtime could be identified as a percentage of the budget by department.
An Annual Budgeting and Planning internal audit is on the approved FY 2016 audit plan. We will conduct further assessment of the budgeting process during this review.
Response:
Management takes seriously the need to appropriately account for overtime and agrees that developing the right budgeting process and budgetary controls are the first order of the business. In order to achieve that the management will establish unified overtime codes, enabling proper tracking and management through better attributed data. Management will establish distributed budgetary controls at the appropriate level so effective management of OT is assured. Management agrees with the recommendations and will ensure department heads review past trends and identify deviation from expected patterns. Responsible Party:
AGM’s, CE, CFO, COO Target Date:
March 1, 2016
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DETAILED OBSERVATIONS (CONTINUED)
Overtime Internal Audit
3. Management Reporting, Evaluation and Enforcement of Overtime Budget - continued
Recommendation Management’s Action Plan
Observation Rating: Moderate
• The report did not account for scheduled overtime versus unplanned overtime. DC Water is reimbursed by the District of Columbia for scheduled overtime, such as planned events like the inauguration, which impacts the overall budget.
• Though the overall Personnel services expenditures have not exceeded the budget in the past few fiscal years, the Authority continues to exceed the overtime budget. Though there was improvement in FY 2015, the departments may not have adequate funds due to vacancies, aging infrastructure and other root causes identified.
Without proper review of the overtime budget, evaluation of departmental differences and explanation for variances, the Departments are not held accountable for potentially excessive overtime use.
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APPENDIX A – RATING DEFINITIONS
Observation Risk Rating Definitions
Rating Definition
Low
Observation presents a low risk (i.e., impact on financial statements, internal control environment or business operations) to the organization for the topic reviewed and/or is of low importance to business success/achievement of goals. Action should be taken within 12 months (if related to external financial reporting, must mitigate financial risk within two months unless otherwise agreed upon).
Moderate Observation presents a moderate risk (i.e., impact on financial statements, internal control environment or business operations) to the organization for the topic reviewed and/or is of moderate importance to business success/achievement of goals. Action should be taken within nine months (if related to external financial reporting, must mitigate financial risk within two months).
High Observation presents a high risk (i.e., impact on financial statements, internal control environment or business operations) to the organization for the topic reviewed and/or is of high importance to business success/achievement of goals. Action should be taken immediately, but in no case should implementation exceed six months (if related to external financial reporting, must mitigate financial risk within two months).
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APPENDIX B – SEASONALITY OF WORK The graphs in this appendix illustrate the seasonality of overtime work performed. The graph below shows overtime hours worked per quarter in FY 2015 for each of the five high-earning overtime departments we examined. Some departments show a greater trend in seasonal work than others, Water Services being most influenced by the winter months.
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Q1 Q2 Q3 Q4
Overtime Hours by Pay Period FY 2015
Water Services Wastewater Treatment Sewer Services Maintenance Services Engineering & Technical Svcs
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APPENDIX B – SEASONALITY OF WORK (CONTINUED)
The following five graphs illustrate seasonality by department across the past four fiscal years. Similar seasonal trends were seen year-over-year. We see a spike in overtime work during the winter periods in most departments, though the Department of Engineering and Technical Services has an increase in the summer months.
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Q1 Q2 Q3 Q4
Water Services - Overtime Hours by PeriodFY 2012 - FY 2015
Fiscal Year 2012 Fiscal Year 2013 Fiscal Year 2014 Fiscal Year 2015
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APPENDIX B – SEASONALITY OF WORK (CONTINUED)
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Sewer Services - Overtime Hours by PeriodFY 2012 - FY 2015
Fiscal Year 2012 Fiscal Year 2013 Fiscal Year 2014 Fiscal Year 2015
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Q1 Q2 Q3 Q4
DETS - Overtime Hours by PeriodFY 2012 - FY 2015
Fiscal Year 2012 Fiscal Year 2013 Fiscal Year 2014 Fiscal Year 2015
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APPENDIX B – SEASONALITY OF WORK (CONTINUED)
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Q1 Q2 Q3 Q4
Wastewater Treatment - Overtime Hours by PeriodFY 2012 - FY 2015
Fiscal Year 2012 Fiscal Year 2013 Fiscal Year 2014 Fiscal Year 2015
0200400600800
10001200140016001800
Q1 Q2 Q3 Q4
Maintenance Services - Overtime Hours by PeriodFY 2012 - FY 2015
Fiscal Year 2012 Fiscal Year 2013 Fiscal Year 2014 Fiscal Year 2015
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Version 1.0 Released: 10/30/15 ©2015 RSM US LLP. All rights Reserved.
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